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Nelson J. Sabatini Chairman Herbert S. Wong, PhD Vice-Chairman Joseph Antos, PhD Victoria W. Bayless George H. Bone, M.D. John M. Colmers Jack C. Keane Donna Kinzer Executive Director Katie Wunderlich, Director Engagement and Alignment Sule Gerovich, PhD, Director Population Based Methodologies Chris L. Peterson, Director Clinical and Financial Information Gerard J. Schmith, Director Revenue and Regulation Compliance Health Services Cost Review Commission 4160 Patterson Avenue, Baltimore, Maryland 21215 Phone: 410-764-2605 · Fax: 410-358-6217 Toll Free: 1-888-287-3229 hscrc.maryland.gov State of Maryland Department of Health and Mental Hygiene 537th MEETING OF THE HEALTH SERVICES COST REVIEW COMMISSION February 8, 2017 EXECUTIVE SESSION 11:00 a.m. (The Commission will begin in public session at 11:00 a.m. for the purpose of, upon motion and approval, adjourning into closed session. The open session will resume at 1:00 p.m.) 1. Update on the Primary Care Model - Authority General Provisions Article, §3-103 and §3-104 2. Update on Contract and Modeling of the All-payer Model vis-a-vis the All-Payer Model Contract – Administration of Model Moving into Phase II - Authority General Provisions Article, §3-103 and §3-104 3. Discussion on Planning for Model Progression – Authority General Provisions Article, §3-103 and §3-104 4. Personnel Matters – Authority General Provisions Article, §3-305 (b) (1) 5. Discussion of Legislative Process – Authority General Provisions Article, §3-103 and §3-104 PUBLIC SESSION 1:00 p.m. 1. Review of the Minutes from the Public Meeting and Executive Session on December 14, 2016 2. Executive Director’s Report 3. New Model Monitoring 4. Docket Status – Cases Closed 2357A - Hopkins Health Advantage 2365A - University of Maryland Medical Center 2366A - Johns Hopkins Health System 2367A - Johns Hopkins Health System 2368A - Johns Hopkins Health System 5. Docket Status – Cases Open 2369A - Johns Hopkins Health System 2370A - Johns Hopkins Health System 2371R – MedStar Franklin Square Medical Center 2372A – Doctors Community Hospital 2373A – University of Maryland Medical Center 2374A - Johns Hopkins Health System 2375A - Johns Hopkins Health System 2376A - Johns Hopkins Health System 2377A - Johns Hopkins Health System

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Page 1: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

 

Nelson J. Sabatini Chairman

Herbert S. Wong, PhD

Vice-Chairman

Joseph Antos, PhD

Victoria W. Bayless

George H. Bone, M.D.

John M. Colmers

Jack C. Keane

Donna Kinzer

Executive Director

Katie Wunderlich, Director Engagement

and Alignment

Sule Gerovich, PhD, Director Population Based

Methodologies

Chris L. Peterson, Director Clinical and Financial

Information

Gerard J. Schmith, Director Revenue and Regulation

Compliance

Health Services Cost Review Commission 4160 Patterson Avenue, Baltimore, Maryland 21215

Phone: 410-764-2605 · Fax: 410-358-6217 Toll Free: 1-888-287-3229

hscrc.maryland.gov

State of Maryland Department of Health and Mental Hygiene

537th MEETING OF THE HEALTH SERVICES COST REVIEW COMMISSION February 8, 2017

EXECUTIVE SESSION

11:00 a.m. (The Commission will begin in public session at 11:00 a.m. for the purpose of, upon motion and approval, adjourning into closed session. The open session will resume at 1:00 p.m.)

1. Update on the Primary Care Model - Authority General Provisions Article, §3-103 and §3-104

2. Update on Contract and Modeling of the All-payer Model vis-a-vis the All-Payer Model Contract –

Administration of Model Moving into Phase II - Authority General Provisions Article, §3-103 and §3-104

3. Discussion on Planning for Model Progression – Authority General Provisions Article, §3-103 and §3-104

4. Personnel Matters – Authority General Provisions Article, §3-305 (b) (1)

5. Discussion of Legislative Process – Authority General Provisions Article, §3-103 and §3-104

PUBLIC SESSION 1:00 p.m.

1. Review of the Minutes from the Public Meeting and Executive Session on December 14, 2016

2. Executive Director’s Report

3. New Model Monitoring

4. Docket Status – Cases Closed 2357A - Hopkins Health Advantage 2365A - University of Maryland Medical Center 2366A - Johns Hopkins Health System 2367A - Johns Hopkins Health System 2368A - Johns Hopkins Health System

5. Docket Status – Cases Open 2369A - Johns Hopkins Health System 2370A - Johns Hopkins Health System 2371R – MedStar Franklin Square Medical Center 2372A – Doctors Community Hospital 2373A – University of Maryland Medical Center 2374A - Johns Hopkins Health System 2375A - Johns Hopkins Health System 2376A - Johns Hopkins Health System 2377A - Johns Hopkins Health System

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6. Confidential Data Request

7. Report on the Nursing Support Program I (NSP I)

8. Final Recommendation for Updating the Quality-based Reimbursement Program for RY 2018 and RY 2019 - Approved

9. Draft Recommendation for the Maryland Hospital Acquired Condition (MHAC) Policy for RY 2019

10. Legislative Update

11. Recommendation on Implementation of Care Redesign Amendment

12. CRISP Update

13. Hearing and Meeting Schedule

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Closed Session Minutes Of the

Health Services Cost Review Commission

February 8, 2017

Upon motion made in public session, Vice Chairman Wong called for adjournment into closed session to discuss the following items:

1. Update on the Primary Care Model - Authority General Provisions Article, §3-103 and §3-104

2. Discussion on Planning for Model Progression – Authority General Provisions Article, §3-103 and §3-104

3. Update on Contract and Modeling of the All-payer Model vis-a-vis the All-Payer Model Contract – Administration of Model Moving into Phase II - Authority General Provisions Article, §3-103 and §3-104

4. Discussion of Legislative Process - Authority General Provisions Article, §3-103 and §3-104

5. Personnel Matters - Authority General Provisions Article, §3-305(b)(1)

The Closed Session was called to order at 11:05 p.m. and held under authority of §3-103, §3-104 and §3-105 of the General Provisions Article. In attendance in addition to Vice Chairman Wong were Commissioners Antos, Bayless, Bone, Colmers, and Keane. In attendance representing Staff were Donna Kinzer, Katie Wunderlich, Chris Peterson, Sule Gerovich, Jerry Schmith, Claudine Williams, Amanda Vaughn, Jess Lee, and Dennis Phelps. Also attending were Howard Haft, M.D., Deputy Secretary, Public Health Services and Chad Perman, Director Health System Transformation of the Department of Health and Mental Hygiene, Eric Lindeman, Deborah Gracey Commission Consultants, and Stan Lustman and Leslie Schulman Commission Counsel.

Item One

Dr. Haft summarized the Maryland Comprehensive Primary Care Model and its administration.

Item Two

Ms. Kinzer updated the Commission and the Commissioners discussed the negotiation process for Phase II of the Model including the development of the Participation Agreements.

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MINUTES OF THE 537th MEETING OF THE

HEALTH SERVICES COST REVIEW COMMISSION February 8, 2017

Vice Chairman Herbert Wong, Ph.D., called the public meeting to order at 11:05 p.m. Commissioners Joseph Antos, Ph.D., Victoria Bayless, George H. Bone, M.D., John Colmers, and Jack C. Keane were also in attendance. Upon motion made by Commissioner Colmers and seconded by Commissioner Keane, the meeting was moved to Executive Session. Vice Chairman Wong reconvened the public meeting at 1:12 p.m. Chairman Nelson Sabatini participated by telephone in the public session

REPORT OF THE FEBRUARY 8, 2017 EXECUTIVE SESSION

Mr. Dennis Phelps, Associate Director, Audit & Compliance, summarized the minutes of the February 8, 2017 Executive Session. .

ITEM I REVIEW OF THE MINUTES FROM THE DECEMBER 14, 2016

EXECUTIVE SESSION AND PUBLIC MEETING The Commission voted unanimously to approve the minutes of the December 14, 2016 Executive Session and Public Meeting. .

ITEM II EXECUTIVE DIRECTOR’S REPORT

Ms. Donna Kinzer, Executive Director, stated that the Centers for Medicare & Medicaid Services (CMS) announced a new all-payer global budget model for rural critical access and acute care hospitals in Pennsylvania. This model was fashioned after Maryland’s all payer model. The model was approved for a seven year period. This model will help rural hospitals that are having difficulty financially and in need of a stable budget, particularly amidst Medicare cuts and rising transformation costs. Ms. Kinzer noted that Chairman Sabatini, Commissioner Antos, and she wrote an article for Health Affairs Blog. The article describes the progression of Maryland’s all-payer model and the current challenges being faced. Ms. Kinzer noted that Staff has worked with the Johns Hopkins Health System Hospitals to reincorporate out of state revenues into their Global Budget Revenues. As a result, all hospitals in Maryland will have all of their revenues under global budgets. Dr. Redonda Miller. President of Johns Hopkins Hospital, expressed her gratitude to the Staff for their hard work and described this process as a true partnership. Ms Kinzer stated that Staff realizes the administrative burden of the various regulatory filings. Staff is continuing to look at opportunities with the Maryland Hospital Association to reduce the

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number of filings. Ms. Kinzer stated that Staff received the draft Care Redesign Programs agreement. Once this draft agreement is reviewed, it will be shared publically. Ms Kinzer noted that Staff will present a draft recommendation today recommending that CRISP act as the administrator of the Care Redesign Programs. Ms. Kinzer reported that Ellen Englert retired from the Commission on December 31st. Ms. Kinzer expressed her thanks for Ellen’s long-term dedication and efforts on behalf of the citizens of Maryland. Ms. Kinzer stated that the Staff has finalized the 6 month market shift adjustment. This adjustment is for the period of January 1, 2016 thru June 30, 2016 and will be included in the hospital’s January 1st Rate Order. $33 Million is to be allocated to hospitals related to volume increases in oncology associated with high cost new drugs. In addition, price variances as well as the approved RY 2017 QBR adjustments will be included in the Rate Order. Ms Kinzer updated the Commission on several workgroups:

1. Total Cost of Care Workgroup- This workgroup is focused on implementation requirements for the Care Redesign Amendment to the All-Payer Model, as well as the development of a value based modifier (VBM) that links hospital payments with total cost of care, similar to other quality based programs.

2. Payment Models Workgroup- This workgroup will start on February 10th, and the update factor discussions will begin.

3. Performance Measurement Workgroup- This workgroup is focused on refining the Quality-Based Reimbursement (QBR), Maryland Hospital Acquired Conditions (MHAC) and Readmissions Reduction Incentive Program (RRIP) policies for rate year 2019.

4. Behavioral Health – Performance Measurement Sub-group- This sub-group held its inaugural meeting in December 2016. The group looks to define the behavioral health population and discuss potential performance measures for monitoring and reporting.

5. Consumer Standing Advisory Committee- The workgroup will discuss the implementation of the Care Redesign Amendment and the Maryland Comprehensive Primary Care Model.

Ms. Kinzer noted that Staff is moving to version 34 of the APR-DRG and PPC grouper. Staff needs to focus on the settlement of 2016 performance measures under ICD 10 as well as ongoing policy development. Ms. Kinzer reported that the State ended the year with an undercharge 0.9% as of December 31, 2016. This impacts the all payer performance statistic for the year by approximately 0.45%.

EMERGENCY DEPARTMENT PERFORMANCE IN MARYLAND Ms. Katie Wunderlich, Director Engagement and Alignment, presented an overview of recent trends in emergency department (ED) performance (see- “Emergency Department Performance

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in Maryland” on the HSCRC website). Ms. Wunderlich presented data reflecting an increase from 2014 to 2016 in ED diversions, when either the Maryland Institute of Emergency Medical Services Systems (MIEMSS) or hospitals temporarily request no new patients be received due to overwhelming demand. Ms Wunderlich noted the largest increases were in MIEMMS Region 3, Central Maryland. Ms Wunderlich presented national Hospital Compare data, which shows Maryland statewide average “Door to Diagnostic Time” and “Admit Decision to Admission Time” to be well above average. Per Ms. Wunderlich, the factors influencing the ED performance are as follows:

1. Expansion under Affordable Care Act 2. Implementation of GBRs, new incentives and care coordination activities 3. Large emergency room installations 4. Acute Nursing shortages 5. Increases in behavioral health diagnoses 6. Medicare two midnight rule that affects hospital observations and decision making in ED

Ms. Wunderlich noted that staff plans to analyze additional data and update the Commission in the future. In addition, staff may consider an adjustment to the market shift methodology and additional ED measures in the HSCRC quality programs as a potential responses to address the growing number of diversions. Commissioner Keane noted it was alarming that Maryland is underperforming when compared with the nation. He also noted that there is a need to go beyond just monitoring the problem but to implement something now that would incentivize hospitals to improve as ED diversions directly impact quality care. Commissioner Bone stated that in order to better understand the cause of Maryland’s ED performance, Staff should analyze other statistics comparing Maryland to the nation such as ED rooms per capita, ED physicians per capita, and primary care services available per capita. He further stated that access to care, timely access to care, and underlying patient anxiety are the most important factors affecting ED use. Commissioner Colmers cautioned against relying too much on the national data as not all hospitals report this information. We should instead focus on Maryland’s increasing ED trends. Commissioner Bayless noted there is a necessary distinction in ED diversion. Sometimes, MEIMSS puts hospitals on diversion instead of hospitals putting themselves on diversion. She stated that it is possible that Maryland’s behavioral health infrastructure may be lacking compared to other states. Finally, she noted that the increase in urgent care does not appear to be lessening ED volume as much we would have expected. Ms Kinzer noted that Baltimore City is a particular problem area where there are not many urgent care centers. She stated that city hospitals have 10-15% more ED volumes compared to the suburbs. Ms Kinzer noted that we need to use caution in establishing a performance measure

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and to make sure that it solves the problem.

ITEM III NEW MODEL MONITORING

Ms. Amanda Vaughan, Program Manager for Clinical and Financial Information, stated that Monitoring Maryland Performance (MMP) for the new All-Payer Model for the month of December focuses on the fiscal year (July 1 through June 30) as well as calendar year results. Ms. Vaughan reported that for the six month period ended December 31, 2016, All-Payer total gross revenue decreased by 1.00% over the same period in FY 2016. All-Payer total gross revenue for Maryland residents decreased by 0.63%; this translates to a per capita decrease of 0.99%. All-Payer gross revenue for non-Maryland residents decreased by 4.70%. Ms. Vaughan reported that for the twelve months of the calendar year ended December 31, 2016, All-Payer total gross revenue increased by 0.44% over the same period in CY 2015. All-Payer total gross revenue for Maryland residents increased by 0.67%; this translates to a per capita decrease of 1.99%. All-Payer gross revenue for non-Maryland residents decreased by 1.91%. Ms. Vaughan reported that for the six month period ended December 31, 2016, Medicare Fee-For-Service gross revenue decreased by 0.64% over the same period in FY 2016. Medicare Fee-For-Service gross revenue for Maryland residents decreased by 0.54%; this translates to a per capita growth of 0.31%. Maryland Fee-For-Service gross revenue for non-residents decreased by 1.84%. Ms. Vaughan reported that for the twelve months of the calendar year ended December 31, 2016, Medicare Fee-For-Service gross revenue increased by 0.03% over the same period in CY 2015. Medicare Fee-For-Service gross revenue for Maryland residents increased by 0.04%; this translates to a per capita decrease of 1.50%. Maryland Fee-For-Service gross revenue for non-residents decreased by 0.10%. Ms. Vaughan reported that for the twelve months of the calendar year ended December 31, 2016 over the same period in CY 2013:

• Net per capita growth was 4.20 %. • Per capita growth before UCC and MHIP adjustments was 6.59%. • Net per capita Medicare decrease was 1.27%. • Per capita Medicare growth before UCC and MHIP was 1.36%.

According to Ms. Vaughan, for the six months of the fiscal year ended December 31, 2016, unaudited average operating profit for acute hospitals was 2.98%. The median hospital profit was 4.23%, with a distribution of 0.93% in the 25th percentile and 5.88% in the 75th percentile. Rate Regulated profits were 6.68%. Ms. Vaughan reported that for the twelve months of the calendar year ended December 31, 2016 over the same period in CY2015:

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• All-Payer admissions decreased by 0.90%. • All-Payer admissions per thousand residents decreased by 1.53%. • Medicare Fee-For-Service admissions decreased by 1.94%. • Medicare Fee-For-Service admissions per thousand residents decreased by 4.00%. • All-Payer bed days increased by 0.09%. • All-Payer bed days per thousand residents decreased by 0.54%. • Medicare Fee-For-Service bed days decreased by 0.73%. • Medicare Fee-For-Service bed days per thousand decreased by 2.82%. • Emergency visits decreased by 2.66%. • Emergency visits per thousand decreased by 3.27%.

Dr. Alyson Schuster, Ph.D., Associate Director Performance Management, presented a quality report update on the Maryland Hospital Acquired Conditions program based upon readmission data on discharges (through November 2016). Readmissions

• The All-Payer risk adjusted readmission rate was 11.50% for November 2016 YTD. This is a decrease of 10.92% from the November 2013 risk adjusted readmission rate.

• The Medicare Fee for Service risk adjusted readmission rate was 12.37% for November 2016 YTD. This is a decrease of 9.79% from the November 2013 YTD risk adjusted readmission rate.

• Based on the New Model, hospitals must reduce Maryland’s readmission rate to or below the national Medicare readmission rate by 2018. The Readmission Reduction incentive program has set goals for hospitals to reduce their adjusted readmission rate by 9.5% during CY 2016 compared to CY 2013. Currently, 27 out of 46 hospitals have reduced their risk adjusted readmission rate by more than 9.5%. An additional 11 hospitals are on track for achieving the attainment goal.

Case Mix Adjusted PPC Rates

• The All-Payer case-mix adjusted Potentially Preventable Complication (PPC) rate was 0.69% through September 2016 YTD. This is a decrease of 46.45% from the September 2013 case-mix adjusted PPC rate.

• The Medicare Fee for Service case-mix adjusted PPC rate was 0.76% for September 2016 YTD. This is a decrease of 49.31% from the September 2013 YTD case-mix adjusted PPC rate.

ITEM IV DOCKET STATUS- CLOSED CASES

2357A – Hopkins Health Advantage 2365A – University of Maryland Medical Center 2366A - Johns Hopkins Health System 2367A - Johns Hopkins Health System 2368A- Johns Hopkins Health System

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ITEM V

DOCKET STATUS- OPEN CASES

2369A- Johns Hopkins Health System Johns Hopkins Health System (“System”) filed an application on November 23, 2016 on behalf of Johns Hopkins Bayview Medical Center (the “Hospital”). The System is seeking approval to continue to participate in a capitation arrangement serving persons with mental needs under the program title, Creative Alternatives. The arrangement is between the System and the Baltimore Mental Health Systems, Inc., with the services coordinated through the Hospital. The System is requesting approval for one year beginning January 1, 2017. Staff recommends that the Commission approve the Hospital’s request to continue to participate in the program with Creative Alternative for a period of one year beginning January 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote. 2370A - Johns Hopkins Health System Johns Hopkins Health System (“System”) filed an application on November 28, 2016 on behalf of its member hospitals (the ‘Hospitals”). The System seeks approval to continue participation in a capitation arrangement serving persons insured with Tricare. The arrangement involves the Johns Hopkins Medical Services Corporation and Johns Hopkins Healthcare as providers for Tricare patients. The System is requesting approval for one year beginning January 1, 2017. Staff recommends that the Commission approve the Hospitals’ request to participate in the capitation arrangement for a period of one year beginning January 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote.

2373A – University of Maryland Medical Center The University of Maryland Medical Center (“Hospital”) filed an application on January 4, 2017 requesting approval to continue to participate in a global rate arrangement for solid organ and blood and bone marrow transplant services with LifeTrac, Inc. Network for a period of one year beginning April 1. 2017. Staff recommends that the Commission approve the hospital’s application to continue to participate in the solid organ and blood and bone marrow transplant services with LifeTrac, Inc. Network for one year beginning on April 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding.

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The Commission voted unanimously to approve staff’s recommendation.

2374A- Johns Hopkins Health System

Johns Hopkins Health System (“System”) filed an application on January 18, 2017 for Johns Hopkins Hospital and Johns Hopkins Bayview Medical Center (the “Hospitals”). The System is requesting approval to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with MultiPlan, Inc. for a period of one year beginning March 1, 2017. Staff recommends that the Commission approve the hospitals’ application to continue to participate in the global rate arrangement for solid organ and bone marrow transplant services with MultiPlan, Inc. for one year beginning on March 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote.

2375A- Johns Hopkins Health System

Johns Hopkins Health System (“System”) filed an application on January 18, 2017 on behalf of Johns Hopkins Hospital and Johns Hopkins Bayview Medical Center (“Hospitals”). The System is requesting approval to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with INTERLINK Health Services, Inc. The System requests approval for a period of one year beginning March 1, 2017. Staff recommends that the Commission approve the hospitals’ application to continue to participate in the global rate arrangement for solid organ and bone marrow transplant services with INTERLINK Health Services, Inc. for one year beginning on March 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote.

2376A- Johns Hopkins Health System

Johns Hopkins Health System (“System”) filed an application on January 18, 2017 on behalf of Johns Hopkins Hospital and Johns Hopkins Bayview Medical Center (“Hospitals”). The System is seeking approval to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with 6 Degrees Health, Inc. The System is requesting approval for one year beginning March 1, 2017. Staff recommends that the Commission approve the Hospitals’ request to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with 6 Degrees

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Health Inc. for a period of one year beginning March 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote.

2377A- Johns Hopkins Health System

Johns Hopkins Health System (“System”) filed an application on January 18, 2017 on behalf of its member hospitals. The System is seeking approval to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with Preferred Health Care, LLC. The System is requesting approval for one year beginning March 1, 2017. Staff recommends that the Commission approve the Hospitals’ request to continue to participate in a global rate arrangement for solid organ and bone marrow transplant services with Preferred Health Care, LLC for a period of one year beginning March 1, 2017, and that approval be contingent upon the execution of the standard Memorandum of Understanding. The Commission voted unanimously to approve staff’s recommendation. Commissioner Colmers recused himself from the discussion and vote.

ITEM VI CONFIDENTIAL DATA REQUEST

Ms. Claudine Williams, Associate Director Policy Analysis, presented Staff’s final recommendation on the Johns Hopkins Bloomberg School of Public Health confidential data request (See “Final Staff Recommendation on the Johns Hopkins Bloomberg School of Public Health Request to Access HSCRC Confidential Patient Level Data on the HSCRC website).

The Johns Hopkins Bloomberg School of Public Health, Department of Health Policy and Management is requesting to use limited confidential data to help develop and support programs that may decrease the rate of falls among the elderly that lead to hospital admissions. To accomplish this research, the Johns Hopkins Bloomberg School of Public Health, Department of Health Policy and Management will be using the confidential data elements, in conjunction with other publicly available data, to develop and validate the spatio-temporal risk prediction trajectory model and to evaluate the falls risk score. The limited dataset will include confidential variables such as dates of service and age, as well as location at a census block group level that will be provided by CRISP. Investigators received approval from the Johns Hopkins School of Public Health - Institutional Review Board (IRB) on August 24, 2016. These data will not be used to identify individual hospitals or patients. The data will be retained by John Hopkins until June 30, 2020; at that time, the files will be destroyed and a Certification of Destruction will be submitted to the HSCRC. Staff’s final recommendation is as follows:

1. HSCRC staff recommends that the request for the limited inpatient and outpatient

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confidential data files for Calendar Year 2013 through 2015 be approved.

2. This access will be limited to identifiable data for subjects enrolled in the research.

The Commission voted unanimously to approve staff’s recommendation.

ITEM VII REPORT ON THE NURSING SUPPORT PROGRAM I (NSP I)

Ms. Williams and Dr. Joan Warren, Consultant, presented the Nursing Support Program (NSP I) Report to the Commission (see- “Nurse Support Program I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding” on the HSCRC website). Ms Williams and Dr. Warren noted the following:

1. To date, NSP I has been funded by approximately $96 million in rates, which helps support the more than 60,000 nurses in Maryland.

2. In 2012, the NSP I aims were aligned with Institute of Medicine (IOM) Future of Nursing recommendations, and include:

• Education and career advancement • Patient quality and satisfaction • Advancing the practice of nursing

3. FY 2013 and FY 2014 NSP I achievements include:

• More than 2,000 newly licensed registered nurses • Doubling the number of registered nurses graduating with Master’s degrees in

nursing • 9% reduction of student nurse attrition • 8% increase of number of professionally certified registered nurses working in

Maryland • Attained or maintained Magnet designation in seven Maryland hospitals

4. Areas for continued monitoring and improvement include:

• Improving hospital reporting of individual program expenditure supported by

NSP I • Improve reliability and accuracy of FY 2015 and 2016 outcome data • Monitor orientation programs turnover data of registered nurses working in areas

of critical needs • Determine demand in Maryland for offering nursing transition programs allowing

registered nurses to reenter the profession • Monitor recruitment and retention rates and agency usage and trends

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ITEM VIII

FINAL RECOMMENDATION FOR UPDATING THE QUALITY-BASED REIMBUSEMENT PROGRAM FOR RY 2018 AND RY 2019

Dr. Schuster presented Staff’s final recommendation on updating the Quality Based Reimbursement (QBR) Program for RY 2018 and RY 2019 (See “Final Recommendations for Updating the Quality Based Reimbursement Program for Rate Year 2018 and 2019” on the HSCRC website).

Dr. Schuster stated that for RY 2018 scaling, the fiscal 2018 QBR scores will be used to set the payment adjustment scale. The highest performing hospital will receive the maximum reward of 1%, and the worst performing hospital will receive the maximum penalty 2% with the break point being the statewide average. A linear scale will be used based on this distribution.

Dr. Schuster noted for RY 2019 scaling, there will be no changes to the measures included or domain weighting (50% for Patient Experience/Care Transition, 35% for Safety, and 15% for Clinical Care- mortality). Palliative care had previously been excluded from the mortality measure; however, starting in RY 2019, palliative care will be included.

Per Dr. Schuster, adjustments to RY 2019 scaling are as follows:

1. The goal of the revised preset scaling is to incentivize all Maryland hospitals to improve and achieve performance on par with the nation.

2. While the maximum score possible is 100%, staff believes that the preset scale with a maximum possible score of 80% represents a realistic maximum possible score.

3. The maximum reward will be increased from 1% to 2% as a result of the more aggressive scaling.

4. Staff recommends a score of 0.45 to be the cut point. The 2017 statewide average cut point was 0.37.

The Staff final recommendation for RY 2018 is as follows:

• Calculate the scaling points based on RY 2018 performance periods and provide rewards to hospitals that are above the average score, with a maximum penalty of 2% and maximum reward of 1% of inpatient revenue distributed linearly in proportion to calculated scores.

The Staff final recommendation for RY 2019 is as follows:

• Maintain RY 2018 domain weights: 50% for Patient Experience/Care Transition, 35% for Safety, and 15% for Clinical Care- mortality

• Palliative care had previously been excluded from the mortality measure; however, starting in RY 2019, palliative care will be included.

• Move to a modified full score distribution ranging from 0-80%, and linearly scale penalties and rewards at 45% cut point.

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• Maintain 2% maximum penalty and increase the maximum reward of 2% as the achieving rewards will be based on full score distribution.

Commissioner Bone questioned staff on the fairness of comparing mortality and complication rates among hospitals with more developed and less developed palliative care programs.

Commissioner Keane supported setting the payment scale so that hospitals scoring below 0.5 would be penalized, and the maximum reward would be available only to a hospital with a maximum possible score of 1.

Commissioner Colmers stated excluding palliative care in RY 2018 was an error, and that Staff should correct this error in RY 2018 instead of waiting until 2019. He also expressed his unease as to the high expectation set with the 0.45 cut point in RY 2019.

Ms. Traci La Valle, Vice President, Rate Setting, Maryland Hospital Association, and Dr. Yancey Phillips, Chief Quality Officer, Holy Cross Hospital opposed Staff’s original recommendation to reintroduce palliative care cases into the mortality measurement. Ms. LaValle and Dr. Phillips explained the value of palliative care and how the goals of palliative care are not aligned with the All-Payer demonstration goals. Ms. LaValle noted that measuring mortality and complications in people who elected palliative care could discourage hospital efforts to expand access to this service.

Ms. LaValle stated that the hospitals do not agree with the Staff’s proposed payment scale for RY 2019. She said that setting the cut point at 0.45 would result in penalties for all but 8 hospitals based on 2017 performance scores and about two-thirds of hospital nationally.

Mr. Robert Murray, CareFirst Inc., Consultant, was supportive of the Staff recommendation including the issue of palliative care. He would support simplification of the methodology.

The Commissioners voted 5-1 in favor of the RY 2018 and 2019 Staff recommendation. Commissioner Keane was the lone dissenting vote.

ITEM X

LEGISLATIVE UPDATE Ms. Wunderlich, presented a summary of the legislation of interest to the HSCRC (see “Legislative Report- February 8, 2017” on the HSCRC website). The Bills included: 1) Senate Bill 369/House Bill 403 - Maryland Patient Referral Law – Compensation Arrangements Under Federally Approved Programs and Models 2) Senate Bill 379- Hospitals- Changes in Status – Hospital Employee Retraining and Economic Impact Statements 3) Senate Bill 623 – Hospitals – Community Benefit Report – Disclosure of Tax Exemptions 4) Senate Bill 225 – Civil Actions – Noneconomic Damages Catastrophic Injury 5) House Bill 189 – Hospitals – Substance Use Treatment Demonstration Program – Requirements 6) House Bill 515 – Hospitals – Establishment of Substance Use Treatment Program – Requirements 7) House Bill 736 – Workgroup to Recommend Possible Reforms to Maryland’s Health Care System 8) House Bill 150/ Senate 170 – Budget Bill (Fiscal 2018) 9) Senate Bill 172/ House Bill 152 - Budget Reconciliation and Financing Act of 2017 Staff recommended that the Commission support HB 403/SB 369 with written and oral

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testimony. This bill is entitled: Maryland Patient Referral Law- Compensation Arrangements Under Federally Approved Programs and Models. This Bill creates an exemption to the Maryland Patient Referral Law for a health care practitioner who has a compensation arrangement with a health care entity, if that compensation arrangement is funded or paid under a program approved by the Federal Centers for Medicare and Medicare Services. This bill is needed to allow hospitals to implement the Care Redesign Amendment programs. The Commission voted unanimously to approve staff’s recommendation. Staff would also recommended that several bills continue to be monitored. The bills are as follows:

• HB 189- Hospitals- Substance use Treatment Demonstration Program • HB 515- Hospitals- Establishment of Substance Use Treatment Programs • SB 379- Hospitals- Changes in Status- Hospital Employee Restraining and Economic

Impact Statements • HB 152/SB 172- Budget Reconciliation and Financing Act of 2017

The Commission voted unanimously to approve staff’s recommendation

ITEM IX

DRAFT RECOMMENDATION FOR THE MARYLAND HOSPITAL ACQUIRED CONDITION (MHAC) POLICY FOR RY 2019

Dr. Schuster presented the staff’s draft recommendation for the Maryland Hospital Acquired Conditions (MHAC) Program for FY 2019 (See “Draft Recommendations for the Maryland Hospital Acquired Conditions program for Rate Year 2019” on the HSCRC website). The HSCRC’s quality-based payment methodologies are important policy tools for providing strong incentives for hospitals to improve their quality performance over time. Maryland is exempt from the federally HAC programs, and, instead, the HSCRC implemented the MHAC program in state fiscal year FY 2011. In order to enhance the HSCRC’s ability to incentivize hospital care improvements and to meet the MHAC reduction targets in its All-Payer Model agreement with the CMS beginning January 1, 2014, the Commission approved changes to the program. These changes included: 1) measuring hospital performance using observed-to-expected ratio values for each Potentially Preventable Complication (PPC) rather than using the additional incremental cost of the PPCs measured at each hospital; and 2) shifting from relative scaling to pre-established PPC performance targets for payment adjustments for FY 2017. The revised approach established a statewide MHAC improvement target with tiered amounts of revenue at risk based on whether or not the target is met; it also allocated rewards consistent with the amount of revenue in penalties collected. The FY 2018 policy adopted retrospective changes

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13

to the FY 2017 MHAC policy, allowing for high performing hospitals to earn rewards not limited to the penalties collected. The FY 2018 policy also adopted changes to the statewide improvement target.

For RY 2019, staff is proposing several changes to the payment adjustment methodology. First, staff is recommending to remove the two-scale structure that has been used since RY 2016, whereby achievement of a minimum statewide reduction goal determined scale (i.e., the contingent scaling approach). Staff proposes this change for two reasons: a) the State has already achieved the 30% reduction goal: and b) under ICD-10 and v34, staff and work group members agreed that it is difficult to estimate a statewide reduction target. Hospital performance will continue to be scored as the better of the hospital’s attainment or improvement scores, as detailed in Appendix II. Both base year and performance periods will be under ICD-10 and v34.

To move to a single scale, staff proposes to set the maximum penalty for the single scale at 2% and maximum reward at 1% of hospital inpatient revenue.

Second, as with the RY 2019 QBR policy, staff proposes to use the full range of scores to set the payment scale, rather than basing the scale on the statewide distribution of scores. The staff built the following models in considering the RY 2019 scaling adjustments using the final RY 2017 scores (see Figure 5 for statewide adjustments and Appendix V for hospital-specific results):

• Current RY2018 Scale (assuming minimum improvement target met): 17-80% with 40% penalty cutoff and 50% reward threshold (neutral zone)

• Option 1: Full Score Range without Neutral Zone: 0-100% with 50% reward/penalty cutoff

• Option 2: Full Score Range with Neutral Zone: 0-100% with neutral zone between 45% and 55%

Staff will continue to vet these options to create a single scale with the performance measurement work group members. Staff recommends using a full score scale that ranges from 0 to 100%, where hospitals scoring below 45% are penalized, and hospitals scoring above 55% are rewarded. Staff recommends the continuation of a revenue-neutral zone for the MHAC program given positive statewide performance.

Based on this assessment, HSCRC staff recommends the following for RY 2019:

1. Include discharges with palliative care in program, and perform a special hospital audit on palliative care coding.

2. Modify scaling methodology to be a single payment scale, ranging from 0% to 100%, with a revenue neutral zone between 45% and 55%.

3. Set the maximum penalty at 2% and the maximum reward at 1%.

Commissioner Keane noted that the magnitude of the PPC decline is not credible. He stated that it is important to know how much of this improvement is due to coding versus true quality and coding. Dr. Schuster noted that through coding audits performed, she believes the improvement

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is due to both quality and coding. Commissioner Keane requested that 3M (owner of PPC grouper logic) speak at a future meeting to substantiate the PCC results.

Ms. La Valle and Dr. Phillips of Holy Cross Hospital opposed Staff’s recommendation to reintroduce palliative care cases into MHAC calculation.

Mr. Murray, representing CareFirst, supported the Staff’s recommendations.

ITEM XI DRAFT RECOMMENDATION ON THE IMPLEMENTATION OF THE CARE

REDESIGN AMENDMENT

Ms. Jessica Lee, Policy Analyst, presented Staff draft recommendation concerning the implementation of the Care Redesign Amendment (see “Draft Recommendation for CRISP as Administrator of the Care Redesign Programs” on the HSCRC website).

The HSCRC in conjunction with the Maryland Department of Health and Mental Hygiene was recently granted an Amendment to the 2014 Maryland All-Payer Model (“Amendment”) to procure additional data and waivers necessary to the ongoing success of the All-Payer Model.

In response to Maryland stakeholders’ requests for greater provider alignment and transformation tools under the All-Payer Model, the State proposed, and the Centers for Medicare & Medicaid Services (CMS) approved, a Care Redesign Amendment (“Amendment”) to the Agreement in September 2016. The Amendment aims to modify the Model by:

• Implementing effective care management and chronic care management;

• Incentivizing efforts to provide high-quality, efficient, and well-coordinated episodes of care; and

• Supporting hospitals’ ability, in collaboration with their non-hospital care partners, to monitor and control Medicare beneficiaries’ total cost of care growth.

The Amendment gives Maryland hospitals the opportunity to implement Maryland-designed Care Redesign Programs intended to improve health outcomes. By participating in a Care Redesign Program, hospitals will have the opportunity to access comprehensive Medicare data, share resources, and offer incentives to community physicians and practitioners, physicians that practice at hospitals, and other providers, collectively known as Care Partners. Hospitals and their care partners can leverage Medicare data for implementing, monitoring, and improving their Care Redesign Programs.

Based on HSCRC’s public-private partnership strategy and analysis of how CRISP’s governance structures and capabilities position them well for implementation capability, the HSCRC staff is recommending that CRISP act as the administrator for the Amendment’s Care Redesign Programs, while the HSCRC maintains its policy decision making role and regulatory oversight.

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ITEM XII CRISP UPDATE

Mr. David Horrocks, CRISP President, presented the latest results of CRISP efforts to support hospitals’ care transformation efforts, noting in particular the efforts underway to see that at least 25% of the high needs Medicare patients have either a care alert or care plan by the end of June. ITEM XIII

HEARING AND MEETING SCHEDULE March 8, 2017 Times to be determined, 4160 Patterson Avenue HSCRC Conference Room April 12, 2017 Times to be determined, 4160 Patterson Avenue HSCRC Conference Room There being no further business, the meeting was adjourned at 4:32 pm.

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Item Three

Ms. Kinzer briefly updated the Commission on Medicare data and analysis vis-a-vis the All-Payer Model Agreement.

Item Four

Katy Wunderlich, Director Engagement and Alignment, outlined the process for Commissioners to provide input on legislation of interest to the Commission.

Item Five

Ms. Kinzer and the Commissioners discussed various personnel matters.

The Closed Session was adjourned at 1:10 p.m.

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Emergency Department Performance in Maryland

February 8, 2017

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Statewide Trends – ED Diversion Over Time ED Diversion is

increasing in Maryland, but particularly in: Region 3 (Baltimore

City/County and Central MD)

Region 5 (DC suburbs and southern MD)

Diversion remains a critical issue across the country, not just Maryland.

1.0%

4.9%

6.7%

9.0%

4.0%

7.9%

11.9%

15.2%

3.0%4.0% 4.1%

6.3%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

12.0%

14.0%

16.0%

2013 2014 2015 2016

% o

f T

ime

on A

lert

Year

Statewide use of Yellow Alerts

Statewide Region 3 Region 5

Yellow Alert: The ED temporarily requests that it receive absolutely no patients in need of urgent medical care. Yellow Alert is initiated because the ED is experiencing a temporary overwhelming overload such that priority II and III patients may not be managed safely. Prior to diverting pediatric patients, medical consultation is advised for pediatric patient transports when EDs are on yellow alert.

Data Source: Md. Institute for EMS Systems (MIEMSS)

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Statewide Trends – ED Wait Times Over Time

0

10

20

30

40

50

60

Med

ian

num

ber

of M

inut

es

Time

OP-20: Door to Diagnostic Evaluation

Nation Statewide

0

20

40

60

80

100

120

140

160

Med

ian

num

ber

of M

inut

es

Time

ED-2: Admit Decision until Admission

Nation Statewide

ED-2 – Admit Decision until Admission

Some physicians concerned that “boarding” is reducing ED throughput efficiency and increasing wait times.

OP-20 – Door to Diagnostic Evaluation

This measure is most accessible to consumers and was presented in recent local news story.

Data Source: CMS Hospital Compare

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Statewide Overview – 2016 (Yellow Alert)

0.0%

5.0%

10.0%

15.0%

20.0%

25.0%

30.0%

35.0%

40.0%

45.0%

50.0%

1 2 3 4 5 6 7 8 9 10111213141516171819202122232425262728293031323334353637383940414243444546

% of Time on Yellow Alert - 2016

MD Hospitals % of time on Alert Statewide % of Time on Alert

Data Source: MIEMSS

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Statewide Overview – 2016 (Wait Times)

0

20

40

60

80

100

120

1 3 5 7 9 11 13 15 17 19 21 23 25 27 29 31 33 35 37 39 41 43 45

Med

ian

num

ber

of M

inut

esHospitals in MD

OP-20 Door to Diagnostic Evaluation (Most recent Data)

Statewide Nation

0

50

100

150

200

250

300

350

400

1 3 5 7 9 11 13 15 17 19 21 23 25 27 29 31 33 35 37 39 41 43

Med

ian

num

ber

of M

inut

es

Hospitals in MD

ED-2 - Decision to Admit until Admission (Most Recent Data)

Nation Statewide

Data Source: CMS Hospital Compare

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6

% Change Wait Times

-40.0%

-30.0%

-20.0%

-10.0%

0.0%

10.0%

20.0%

30.0%

40.0%

50.0%

60.0%

% Change in ED-2 2016Q1 over 2014Q1

Hospitals in MD State Nation

-80.0%

-60.0%

-40.0%

-20.0%

0.0%

20.0%

40.0%

60.0%

80.0%

100.0%

120.0%

% Change in OP-20 2016Q1 over 2014Q1

Hospitals in MD State Nation

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Additional Context for ED Throughput Measures

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8

Ongoing Delivery System Changes beginning 2014 Expansion under ACA Implementation of GBRs, new incentives, care

coordination resources Large EMR installations Nurse staffing Nursing shortages begin again Increased use of agency nurses

Trends in Behavioral Health Carve out of substance abuse from Medicaid MCOs Increasing problems with substance abuse and psych patients

in emergency rooms

FFY 2016 - Medicare’s two midnight rule, increasing ER observations

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9

Statewide Volume Analysis

- 50,000

100,000 150,000 200,000 250,000

Num

ber

of V

isits

(by

m

onth

)

Month

Statewide ED OP Volume over Time

-

10,000

20,000

30,000

40,000

Num

ber

of V

isits

(by

m

onth

)

Month

Statewide ED IP Volume over Time

An increase in volume could account for longer wait times; however, the IP/OP Volume shows a slight but steady decline.

ED IP: An ED visit that resulted in an IP admission.ED OP: An ED visit that did not result in an IP admission, patient was treated in OP setting and discharged.

HSCRC Financial Data

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10

Casemix Acuity If there was a notable increase in the severity of

illness of cases entering the ED, that could explain ED throughput challenges.

Preliminary analysis of OP ED visits suggests that there is no notable increase in difficulty of cases presenting to the Emergency Department.

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Potential Next Steps

Continue to explore root causes and respond efficiently and appropriately:

Require additional staffing level detail

Alter market shift adjustment to factor in amount of time on ED diversion

Include ED indicators as soon as possible to Quality Programs (RY2020)

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1

Monitoring Maryland Performance Quality Data

February 2017 Commission Meeting Update

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Readmission Reduction Analysis

2

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3

Monthly Case-Mix Adjusted Readmission Rates

Note: Based on final data for January 2012 – Sept. 2016, and preliminary data through December 2016.

0%

2%

4%

6%

8%

10%

12%

14%

16%

All-PayerMedicare FFS

2013 2014 2015 2016

Case-Mix Adjusted Readmissions All-Payer Medicare FFS

CY13 Nov YTD 12.91% 13.71%CY14 Nov YTD 12.41% 13.46%CY15 Nov YTD 12.02% 12.91%CY16 Nov YTD 11.50% 12.37%

CY13 - CY16 YTD % Change -10.92% -9.79%

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4

Change in All-Payer Case-Mix Adjusted Readmission Rates by Hospital

Note: Based on final data for January 2012 – Sept. 2016, and preliminary data through December 2016.

-35%

-30%

-25%

-20%

-15%

-10%

-5%

0%

5%

10%

Goal of 9.5% Cumulative Reduction

27 Hospitals are on Track for Achieving Improvement Goal

Additional 11 Hospitals on Track for Achieving

Attainment Goal

Change Calculation compares Jan-Nov CY 2013 compared to Jan-Nov CY2016

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Medicare Readmission All-Payer Model Test

5

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6

Maryland is reducing readmission rate but only slightly faster than the nation

16.29%

15.76%

15.39%15.50% 15.42%

15.29%

18.17%

17.42%

16.61%16.47%

15.95%

15.64%

13.50%

14.00%

14.50%

15.00%

15.50%

16.00%

16.50%

17.00%

17.50%

18.00%

18.50%

CY2011 CY2012 CY2013 CY2014 CY 2015 CY 2016 YTD Sep

National Maryland

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7

Cumulative Readmission Rate Change by Month (year over year): Maryland vs Nation

Reduction in the National Readmission Rate has increased in CY 2016

-0.77%

-0.21% -0.24%-0.38%

-0.26% -0.23% -0.29% -0.30% -0.26% -0.28% -0.34%-0.49%

-0.36% -0.32% -0.33%

-0.85%-1.02% -0.99% -0.93% -0.92%

-1.01%

-4.40%

-3.50%

-2.77% -2.78%

-3.16%-3.27%

-3.39%-3.25% -3.26%

-3.49%

-3.18% -3.13%

-0.73%-0.57%

-1.08%

-1.38%

-2.03%

-2.44%-2.34% -2.31%

-2.08%

-5.00%

-4.50%

-4.00%

-3.50%

-3.00%

-2.50%

-2.00%

-1.50%

-1.00%

-0.50%

0.00%

Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec Jan Feb Mar Apr May Jun Jul Aug Sep

2015 2015 2015 2015 2015 2015 2015 2015 2015 2015 2015 2015 2016 2016 2016 2016 2016 2016 2016 2016 2016

National Medicare CMMI MD Medicare

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MHAC PPC Reduction Update

8

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9

Monthly Case-Mix Adjusted PPC Rates

0.4

0.6

0.8

1.0

1.2

1.4

1.6

1.8

Jul-1

2

Sep-

12

Nov

-12

Jan-

13

Mar

-13

May

-13

Jul-1

3

Sep-

13

Nov

-13

Jan-

14

Mar

-14

May

-14

Jul-1

4

Sep-

14

Nov

-14

Jan-

15

Mar

-15

May

-15

Jul-1

5

Sep-

15

Nov

-15

Jan-

16

Mar

-16

May

-16

Jul-1

6

Sep-

16

ALL PAYER

MEDICARE FFS

New Model Start

Case-Mix Adjusted PPC Rate All-Payer Medicare FFS

CY13 YTD Through Sep 1.29 1.50CY14 YTD Through Sep 0.96 1.06CY15 YTD Through Sep 0.87 0.99CY16 YTD Through Sep 0.69 0.76

CY16 over CY13 % Change (YTD through Sep) -46.45% -49.31%

Note: Based on final MHAC Program data for January 2012 – Sept. 2016

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10

Change in All-Payer Case-Mix Adjusted PPC Rates YTD by Hospital

Notes:Based on final data for July 2013 – September 2016.Percent change is comparing Jan. – Sept. of FY2015 to Jan. – Sept. of CY2016.Excludes McCready Hospital due to small sample size.

-100%

-80%

-60%

-40%

-20%

0%

20%

40%

60%

80%

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Monitoring Maryland Performance Medicare Fee-for-Service (FFS)

Data thru October 2016 – Claims paid through December

Source: CMMI Monthly Data Set

1

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Disclaimer:

Data contained in this presentation represent analyses prepared by HSCRC staff based on data summaries provided by the Federal Government. The intent is to provide early indications of the

spending trends in Maryland for Medicare FFS patients, relative to national trends. HSCRC staff has added some projections to the summaries. This data has not yet been audited or verified. Claims

lag times may change, making the comparisons inaccurate. ICD-10 implementation and EMR conversion could have an impact on claims lags. These analyses should be used with caution and do

not represent official guidance on performance or spending trends. These analyses may not be quoted until public release.

2

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Medicare Hospital Spending per CapitaActual Growth Trend (CY month vs. prior CY month)

3

-12.0%

-10.0%

-8.0%

-6.0%

-4.0%

-2.0%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

Maryland Maryland Projected National National Projected

Current trend shows Maryland below the

nation

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Medicare Total Cost of Care per CapitaActual Growth Trend (CY month vs. prior CY month)

4

-12.0%

-10.0%

-8.0%

-6.0%

-4.0%

-2.0%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

Maryland Maryland Projected National National Projected

Current trend shows Maryland below the nation

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Medicare Non-Hospital Spending per CapitaActual Growth Trend (CY month vs. prior CY month)

5

-12.0%

-10.0%

-8.0%

-6.0%

-4.0%

-2.0%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

12.0%

Maryland Non-Hospital Maryland Non-Hospital Projected US Non-Hospital US Non-Hospital Projected

Current trend shows Maryland trending closely with the nation for the last

few months and dipping below the nation in October

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Medicare Non-Hospital Part A Spending per CapitaActual Growth Trend (CY month vs. prior CY month)

6

-12.0%

-10.0%

-8.0%

-6.0%

-4.0%

-2.0%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

12.0%

Maryland Non-Hospital Part A Maryland Non-Hospital Part A Projected US Non-Hospital Part A US Non-Hospital Part A Projected

Current trend shows

Maryland below the

nation

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Medicare Non-Hospital Part B Spending per CapitaActual Growth Trend (CY month vs. prior CY month)

7

-12.0%

-10.0%

-8.0%

-6.0%

-4.0%

-2.0%

0.0%

2.0%

4.0%

6.0%

8.0%

10.0%

12.0%

Maryland Non-Hospital Part B Maryland Non-Hospital Part B Projected US Non-Hospital Part B US Non-Hospital Part B Projected

Current trend shows Maryland trending closely with the nation

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Medicare Hospital & Non-Hospital Growth(with completion) CYTD through October 2016

8

($28,645)($22,998)

($5,628)($12,451)

($19,189) ($21,609)

($42,836)

($61,911) ($70,543)

($96,342)

($120,000)

($100,000)

($80,000)

($60,000)

($40,000)

($20,000)

$0

($40,000)

($30,000)

($20,000)

($10,000)

$0

$10,000

$20,000

$30,000

Jan-16 Feb-16 Mar-16 Apr-16 May-16 Jun-16 Jul-16 Aug-16 Sep-16 Oct-16

Thou

sand

s (Li

ne)

Thou

sand

s (Ba

rs)

MTD Hospital Savings MTD Non-Hospital Excess Growth YTD TCOC Total Growth

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Monitoring Maryland Performance Financial Data

Year to Date thru December 2016

Source: Hospital Monthly Volume and Revenue and Financial Statement Data Run: February 2017

9

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Gross All Payer Revenue GrowthFY 2017 (Jul-Dec 2016 over Jul-Dec 2015) and CY 2016 (Jan-Dec 2016 over Jan-Dec 2015)

The State’s Fiscal Year begins July 110

-1.00%

0.44%

-0.63%

0.67%

-4.70%

-1.91%

-5.00%

-4.00%

-3.00%

-2.00%

-1.00%

0.00%

1.00%

2.00%

3.00%

4.00%

5.00%

6.00%

7.00%

FY2017 CY2016

Total Revenue In State Revenue Out of State Revenue

FY In State Revenue = 91.35% of Total RevenueFY Out of State Revenue = 8.65% of Total Revenue

CY In State Revenue = 91.42% of Total RevenueCY Out of State Revenue = 8.58% of Total Revenue

Page 51: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Gross Medicare Fee for Service Revenue Growth FY 2017 (Jul-Dec 2016 over Jul-Dec 2015) and CY 2016 (Jan-Dec 2016 over Jan-Dec 2015)

The State’s Fiscal Year begins July 111

-0.64%

0.03%

-0.54%

0.04%

-1.84%

-0.10%

-5.00%

-4.00%

-3.00%

-2.00%

-1.00%

0.00%

1.00%

2.00%

3.00%

4.00%

5.00%

6.00%

7.00%

FY2017 CY2016Total Revenue In State Revenue Out of State Revenue

FY In State Revenue = 92.06% of Total RevenueFY Out of State Revenue = 7.94% of Total Revenue

CY In State Revenue = 92.16% of Total RevenueCY Out of State Revenue = 7.84% of Total Revenue

Page 52: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Hospital Revenue Per Capita Growth Rates FY 2017 (Jul-Dec 2016 over Jul-Dec 2015) and CY 2016 (Jan-Dec 2016 over Jan-Dec 2015)

• The State’s Fiscal Year begins July 1.• Calendar Year trends through November are below the All-payer Model Guardrail of 3.58% per year for per capita growth.

12

-0.99%

0.31%

-1.99%-1.50%

-5.00%

-4.00%

-3.00%

-2.00%

-1.00%

0.00%

1.00%

2.00%

3.00%

4.00%

5.00%

6.00%

7.00%

FY2017 CY2016All-Payer In-State Medicare FFS In-State

Page 53: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Hospital Revenue Per Capita: Actual and Underlying Growth CY 2016 (Jan-Dec) over Base Year CY 2013 (Jan-Dec)

• Three year All Payer per capita growth rate is well below maximum allowable growth rate of 11.13% (growth of 3.58% per year)• Underlying growth reflects adjustments for FY16 revenue decreases that were budget neutral for hospitals. 2.52% hospital bad debts, and

elimination of MHIP assessment and FY17 revenue decreases of .49% UCC and 0.15% deficit assessment.13

4.20%

-1.27%

6.59%

1.36%

-5.00%

-4.00%

-3.00%

-2.00%

-1.00%

0.00%

1.00%

2.00%

3.00%

4.00%

5.00%

6.00%

7.00%

Per Capita - All Payer Per Capita - Medicare Fee For Service

Net Growth Growth Before UCC, MHIP and Deficit Assessment Adjustments

Page 54: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Total Operating ProfitsFYTD 2017 vs FYTD2016 (Jul-Dec)

1.82%

0.42%

2.27%

5.10%

4.30%

2.98%

0.93%

4.23%

5.88%

6.68%

0.00%

1.00%

2.00%

3.00%

4.00%

5.00%

6.00%

7.00%

8.00%

All Operating 25th Percentile Median 75th Percentile Rate Regulated OnlyFY 2017 YTD FY 2016 YTD

Page 55: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Total Operating Profits by HospitalFiscal Year 2017 (Jul-Dec 2016)

• The State’s Fiscal Year begins July 115

-20.00%

-15.00%

-10.00%

-5.00%

0.00%

5.00%

10.00%

15.00%

20.00%

Page 56: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Regulated and Total Operating ProfitsFiscal Year 2017 (Jul-Dec 2016)

• The State’s Fiscal Year begins July 1 16

-20.00%

-15.00%

-10.00%

-5.00%

0.00%

5.00%

10.00%

15.00%

20.00%

Regulated Profits Total Profits

Page 57: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Monitoring Maryland Performance Financial/Utilization Data

Year to Date thru December 2016

Source: Hospital Monthly Volume and Revenue Data

17

Page 58: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Annual Trends for ADK AnnualizedMedicare Fee For Service and All Payer (CY 2013 through CY 2016 December)

*Note - The admissions do not include out of state migration or specialty psych and rehab hospitals. 18

0153045607590

105120135150165180195210225240255270285300315330345

Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec

Adm

issi

ons /

1000

Mcare FFS CY13 Mcare FFS CY14 Mcare FFS CY15 Mcare FFS CY16

All Payer CY13 All Payer CY14 All Payer CY15 All Payer CY16

Fee for Service

All Payer

Page 59: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Actual Admissions by Calendar YTD December(CY 2013 through CY 2016)

*Note - The admissions do not include out of state migration or specialty psych and rehab hospitals. 19

559,707

226,915

537,517

220,991

519,578

217,637

514,893

213,416

-

100,000

200,000

300,000

400,000

500,000

600,000

All Payer Admissions - Actual Medicare FFS Admissions -Actual

CY13TD CY14TD CY15TD CY16TD

Change in All Payer Admissions CY13 vs. CY14 = -3.96% Change in All Payer Admissions CY14 vs. CY15 = -3.34%Change in All Payer Admissions CY15 vs. CY16 = -0.90%

Change in Medicare FFS Admissions CY2013 vs. CY2014 = -2.61%Change in Medicare FFS Admissions CY2014 vs. CY2015 = -1.52%Change in Medicare FFS Admissions CY2015 vs. CY2016 = -1.94%

Change in ADK CYTD 13 vs. CYTD 14 = -4.55%Change in ADK CYTD 14 vs. CYTD 15 = -3.78%Change in ADK CYTD 15 vs. CYTD 16 = -1.53%

Change in FFS ADK CYTD 13 vs. CYTD 14 = -5.63%Change in FFS ADK CYTD 14 vs. CYTD 15 = -4.44%Change in FFS ADK CYTD 15 vs. CYTD 16 = -4.00%

ADK=94 ADK=87

ADK=286 ADK=270 ADK=258

ADK=85

ADK=248

ADK=90

Page 60: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Annual Trends for BDK AnnualizedMedicare Fee For Service and All Payer (CY 2013 through CY 2016 December)

*Note - The bed days do not include out of state migration or specialty psych and rehab hospitals. 20

- 100 200 300 400 500 600 700 800 900

1,000 1,100 1,200 1,300 1,400 1,500 1,600 1,700 1,800

Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec

Bed

Days

Per

100

0 An

nual

ized

Mcare FFS CY13 Mcare FFS CY14 Mcare FFS CY15 Mcare FFS CY16

All Payer CY13 All Payer CY14 All Payer CY15 All Payer CY16

Fee For Service

All Payer

Page 61: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Actual Bed Days by Calendar YTD December(CY 2013 through CY 2016)

*Note - The bed days do not include out of state migration or specialty psych and rehab hospitals. 21

2,637,297

1,195,980

2,605,611

1,195,729

2,553,003

1,182,029

2,555,311

1,173,365

-

500,000

1,000,000

1,500,000

2,000,000

2,500,000

3,000,000

All Payer Bed Days-Actual Medicare FFS Bed Days - Actual

CY13TD CY14TD CY15TD CY16TD

Change in Bed Days CY 2013 vs. CY 2014 = -1.20%Change in Bed Days CY 2014 vs. CY 2015 = -2.02%Change in Bed Days CY 2015 vs. CY 2016 = 0.09%

Change in Medicare FFS Bed Days CY 2013 vs. CY 2014 = -0.02%Change in Medicare FFS Bed Days CY 2014 vs. CY 2015 = -1.15%Change in Medicare FFS Bed Days CY 2015 vs. CY 2016 = -0.73%

Change in BDK CYTD 13 vs. CYTD 14 = -1.80%Change in BDK CYTD 14 vs. CYTD 15 = -2.47%Change in BDK CYTD 15 vs. CYTD 16 = -0.54%

Change in FFS BDK CYTD 13 vs. CYTD 14 = -3.12%Change in FFS BDK CYTD 14 vs. CYTD 15 = -4.08%Change in FFS BDK CYTD 15 vs. CYTD 16 = -2.82%

BDK=445 BDK=437

BDK=1508 BDK=1461 BDK=1401

BDK=424

BDK=1362

BDK=426

Page 62: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Annual Trends for EDK AnnualizedAll Payer (CY 2013 through CY2016 December)

*Note - The ED Visits do not include out of state migration or specialty psych and rehab hospitals. 22

-

20

40

60

80

Jan Feb Mar Apr May Jun Jul Aug Sep Oct Nov Dec

ED V

isits

/100

0 An

nual

ized

All Payer CY13 All Payer CY14 All Payer CY15 All Payer CY16

Page 63: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Actual Emergency Department Visits by Calendar YTD December (CY 2013 through CY 2016)

*Note - The ED Visits do not include out of state migration or specialty psych and rehab hospitals. 23

2,012,155 2,027,787 2,027,001 1,973,128

-

500,000

1,000,000

1,500,000

2,000,000

2,500,000

Emergency Visits All Payer - Actual

CY13TD CY14TD CY15TD CY16TD

EDK = 339 EDK =340 EDK =338

Change in ED Visits CYTD 13 vs. CYTD 14 = -0.78% Change in ED Visits CYTD 14 vs. CYTD 15 = -0.04%Change in ED Visits CYTD 15 vs. CYTD 16 = -2.66%

Change in EDK CYTD 13 vs. CYTD 14 = 0.17%Change in EDK CYTD 14 vs. CYTD 15 = -0.50%Change in EDK CYTD 15 vs. CYTD 16 = -3.27%

EDK=327

Page 64: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Purpose of Monitoring Maryland Performance

Evaluate Maryland’s performance against All-Payer Model requirements:

• All-Payer total hospital per capita revenue growth ceiling for Maryland residents tied to long term state economic growth (GSP) per capita 3.58% annual growth rate

• Medicare payment savings for Maryland beneficiaries compared to dynamic national trend. Minimum of $330 million in savings over 5 years

• Patient and population centered-measures and targets to promote population health improvement Medicare readmission reductions to national average 30% reduction in preventable conditions under Maryland’s Hospital Acquired

Condition program (MHAC) over a 5 year period Many other quality improvement targets

24

Page 65: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Data Caveats• Data revisions are expected.• For financial data if residency is unknown, hospitals report this as a

Maryland resident. As more data becomes available, there may be shifts from Maryland to out-of-state.

• Many hospitals are converting revenue systems along with implementation of Electronic Health Records. This may cause some instability in the accuracy of reported data. As a result, HSCRC staff will monitor total revenue as well as the split of in state and out of state revenues.

• All-payer per capita calculations for Calendar Year 2015 and Fiscal 2016 rely on Maryland Department of Planning projections of population growth of .52% for FY 16 and .52% for CY 15. Medicare per capita calculations use actual trends in Maryland Medicare beneficiary counts as reported monthly to the HSCRC by CMMI.

25

Page 66: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Data Caveats cont.• The source data is the monthly volume and revenue statistics.• ADK – Calculated using the admissions multiplied by 365 divided by

the days in the period and then divided by average population per 1000.

• BDK – Calculated using the bed days multiplied by 365 divided by the days in the period and then divided by average population per 1000.

• EDK – Calculated using the ED visits multiplied by 365 divided by the days in the period and then divided by average population per 1000.

• All admission and bed days calculations exclude births and nursery center.

• Admissions, bed days, and ED visits do not include out of state migration or specialty psych and rehab hospitals.

26

Page 67: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Cases Closed

The closed cases from last month are listed in the agenda

Page 68: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

H.S.C.R.C's CURRENT LEGAL DOCKET STATUS (OPEN)

AS OF JANUARY 31, 2017

A: PENDING LEGAL ACTION : NONEB: AWAITING FURTHER COMMISSION ACTION: NONEC: CURRENT CASES:

Rate OrderDocket Hospital Date Decision Must be Analyst's FileNumber Name Docketed Required by: Issued by: Purpose Initials Status

2369A Johns Hopkins Health System 11/23/2016 N/A N/A N/A DNP OPEN

2370A Johns Hopkins Health System 11/28/2016 N/A N/A N/A DNP OPEN

2371R MedStar Franklin Square Medical Center 12/23/2016 3/8/2017 5/22/2017 Capital GS OPEN

2372A Doctors Community Hospital 1/5/2017 N/A N/A N/A DK OPEN

2373A University of Maryland Medical Center 1/4/2017 N/A N/A N/A DNP OPEN

2374A Johns Hopkins Health System 1/18/2017 N/A N/A N/A DNP OPEN

2375A Johns Hopkins Health System 1/18/2017 N/A N/A N/A DNP OPEN

2376A Johns Hopkins Health System 1/18/2017 N/A N/A N/A DNP OPEN

2377A Johns Hopkins Health System 1/18/2017 N/A N/A N/A DNP OPEN

PROCEEDINGS REQUIRING COMMISSION ACTION - NOT ON OPEN DOCKET

Page 69: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTH * DOCKET: 2016

SYSTEM * FOLIO: 2170

BALTIMORE, MARYLAND * PROCEEDING: 2369A

Staff Recommendation

February 8, 2017

Page 70: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

INTRODUCTION

Johns Hopkins Health System (System) filed a renewal application with the HSCRC on

November 23, 2016 on behalf of the Johns Hopkins Bayview Medical Center (the “Hospital”) for an

alternative method of rate determination, pursuant to COMAR 10.37.10.06. The System requests

approval from the HSCRC for continued participation in a capitation arrangement serving persons

with mental health needs under the program title, Creative Alternatives. The arrangement is between

the Johns Hopkins Health System and the Baltimore Mental Health Systems, Inc., with the services

coordinated through the Hospital. The requested approval is for a period of one year beginning

January 1, 2017.

II. OVERVIEW OF APPLICATION

The parties to the contract include the System and the Baltimore Mental Health Systems, Inc.

Creative Alternatives provides a range of support services for persons diagnosed with mental illness

and covers medical services delivered through the Hospital. The System will assume the risk under

the agreement, and all Maryland hospital services will be paid based on HSCRC rates.

III. STAFF FINDINGS

Staff found that the experience under this arrangement for FY 2015 was slightly unfavorable.

However, staff believes that the Hospital can achieve a favorable performance under this

arrangement.

IV. STAFF RECOMMENDATION

Staff recommends that the Commission approve the Hospital’s renewal application for an

alternative method of rate determination for a one year period commencing January 1, 2017.

Consistent with its policy paper regarding applications for alternative methods of rate

determination, the staff recommends that this approval be contingent upon the execution of the

standard Memorandum of Understanding ("MOU") with the Hospital for the approved contract.

This document would formalize the understanding between the Commission and the Hospital, and

would include provisions for such things as payments of HSCRC-approved rates, treatment of losses

that may be attributed to the contract, quarterly and annual reporting, confidentiality of data

submitted, penalties for noncompliance, project termination and/or alteration, on-going monitoring,

Page 71: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

and other issues specific to the proposed contract. The MOU will also stipulate that operating losses

under the contract cannot be used to justify future requests for rate increases.

Page 72: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTH * DOCKET: 2016

SYSTEM * FOLIO: 2180

BALTIMORE, MARYLAND * PROCEEDING: 2370A

Staff Recommendation

February 8, 2017

Page 73: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

I. INTRODUCTION

Johns Hopkins Health System (the System) filed a renewal application with the HSCRC on

November 28, 2016 on behalf of its member hospitals, the Johns Hopkins Hospital, Johns Hopkins

Bayview Medical Center, and Howard County General Hospital (the Hospitals) for an alternative

method of rate determination, pursuant to COMAR 10.37.10.06. The System requests approval from

the HSCRC for continued participation in a capitation arrangement serving persons insured with

Tricare. The arrangement involves the Johns Hopkins Medical Services Corporation and Johns

Hopkins Healthcare as providers for Tricare patients. The requested approval is for a period of one

year beginning January 1, 2017.

II. OVERVIEW OF APPLICATION

The parties to the contract include the Johns Hopkins Medical Services Corporation and

Johns Hopkins Healthcare, a subsidiary of the System. The program provides a range of health care

services for persons insured under Tricare including inpatient and outpatient hospital services. Johns

Hopkins Health Care will assume the risk under the agreement, and the Hospitals will be paid based

on their approved HSCRC rates.

III. STAFF EVALUATION

Staff found that the experience under this arrangement to be favorable for the last year.

Staff believes that the Hospitals can continue to achieve favorable performance under this

arrangement.

V. STAFF RECOMMENDATION

The staff recommends that the Commission approve the Hospitals’ renewal application

for an alternative method of rate determination for a one year period beginning January 1, 2017.

Consistent with its policy paper regarding applications for alternative methods of rate

determination, the staff recommends that this approval be contingent upon the execution of the

standard Memorandum of Understanding ("MOU") with the Hospitals for the approved contract.

Page 74: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

This document would formalize the understanding between the Commission and the Hospitals,

and would include provisions for such things as payments of HSCRC-approved rates, treatment

of losses that may be attributed to the contract, quarterly and annual reporting, confidentiality of

data submitted, penalties for noncompliance, project termination and/or alteration, on-going

monitoring, and other issues specific to the proposed contract, The MOU will also stipulate that

operating losses under the contract cannot be used to justify future requests for rate increases.

Page 75: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

UNIVERSITY OF MARYLAND * DOCKET: 2017

MEDICAL CENTER * FOLIO: 2183

BALTIMORE, MARYLAND * PROCEEDING: 2373A

Staff Recommendation

February 8, 2017

I. INTRODUCTION

Page 76: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

The University of Maryland Medical Center (“the Hospital”) filed an application with the

HSCRC on January 4, 2017 for an alternative method of rate determination, pursuant to

COMAR 10.37.10.06. The Hospital requests approval from the HSCRC to continue to

participate in a global rate arrangement for solid organ and blood and bone marrow transplant

services with LifeTrac, Inc. Network for a period of one year, effective April 1, 2017.

II. OVERVIEW OF APPLICATION

The contract will continue to be held and administered by University Physicians, Inc.

(UPI). UPI will manage all financial transactions related to the global price contract including

payments to the Hospital and bear all risk relating to regulated services associated with the

contract.

III. FEE DEVELOPMENT

The hospital component of the global rates was developed by calculating mean historical

charges for patients receiving like procedures. The remainder of the global rate is comprised of

physician service costs. Additional per diem payments were calculated for cases that exceed a

specific length of stay outlier threshold.

IV. IDENTIFICATION AND ASSESSMENT OF RISK

The Hospital will continue to submit bills to UPI for all contracted and covered services.

UPI is responsible for billing the payer, collecting payments, disbursing payments to the

Hospital at its full HSCRC approved rates, and reimbursing the physicians. The Hospital

contends that the arrangement among UPI, the Hospital, and the physicians holds the Hospital

harmless from any shortfalls in payment from the global price contract. UPI maintains it has

been active in similar types of fixed fee contracts for several years, and that UPI is adequately

capitalized to the bear the risk of potential losses.

V. STAFF EVALUATION

Staff reviewed the experience under this arrangement for the last year and found it to be

favorable. Staff believes that the Hospital can continue to achieve favorable performance under

this arrangement.

Page 77: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

V I. STAFF RECOMMENDATION

Staff recommends that the Commission approve the Hospital’s application to continue to

participate in an alternative method of rate determination for solid organ and blood and bone

marrow transplant services with LifeTrac, Inc. for a one year period commencing April 1, 2017.

Consistent with its policy paper regarding applications for alternative methods of rate

determination, the staff recommends that this approval be contingent upon the execution of the

standard Memorandum of Understanding ("MOU") with the Hospital for the approved contract.

This document would formalize the understanding between the Commission and the Hospital,

and would include provisions for such things as payments of HSCRC-approved rates, treatment

of losses that may be attributed to the contract, quarterly and annual reporting, confidentiality of

data submitted, penalties for noncompliance, project termination and/or alteration, on-going

monitoring, and other issues specific to the proposed contract. The MOU will also stipulate that

operating losses under the contract cannot be used to justify future requests for rate increases.

Page 78: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTH * DOCKET: 2017

SYSTEM * FOLIO: 2184

BALTIMORE, MARYLAND * PROCEEDING: 2374A

Staff Recommendation

February 8, 2017

Page 79: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

I. INTRODUCTION

Johns Hopkins Health System (the “System”) filed an application with the HSCRC on

January 18, 2017 on behalf of Johns Hopkins Hospital and Johns Hopkins Bayview Medical

Center (the “Hospitals”) for an alternative method of rate determination, pursuant to COMAR

10.37.10.06. The System requests approval from the HSCRC to continue to participate in a

global rate arrangement for solid organ and bone marrow transplant services with MultiPlan, Inc.

for a period of one year beginning March 1, 2017.

II. OVERVIEW OF APPLICATION

The contract will continue to be held and administered by Johns Hopkins HealthCare,

LLC ("JHHC"), which is a subsidiary of the System. JHHC will continue to manage all financial

transactions related to the global price contract including payments to the Hospitals and bear all

risk relating to regulated services associated with the contract.

III. FEE DEVELOPMENT

The hospital portion of the global rates was developed by calculating mean historical

charges for patients receiving solid organ and bone marrow transplant services at the Hospitals.

The remainder of the global rate is comprised of physician service costs. Additional per diem

payments were calculated for cases that exceed a specific length of stay outlier threshold.

IV. IDENTIFICATION AND ASSESSMENT OF RISK

The Hospitals will continue to submit bills to JHHC for all contracted and covered

services. JHHC will continue to be responsible for billing the payer, collecting payments,

disbursing payments to the Hospitals at their full HSCRC approved rates, and reimbursing the

physicians. The System contends that the arrangement among JHHC, the Hospitals, and the

physicians holds the Hospitals harmless from any shortfalls in payment from the global price

contract. JHHC maintains it has been active in similar types of fixed fee contracts for several

years, and that JHHC is adequately capitalized to bear the risk of potential losses.

V. STAFF EVALUATION

Although there has been no activity under this arrangement, staff believes that the

Page 80: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

Hospitals can achieve a favorable experience under this arrangement.

VI. STAFF RECOMMENDATION

The staff recommends that the Commission approve the Hospitals’ application for an

alternative method of rate determination for solid organ and bone marrow transplant services, for

a one year period commencing March 1, 2017. The Hospitals will need to file a renewal

application for review to be considered for continued participation. Consistent with its policy

paper regarding applications for alternative methods of rate determination, the staff recommends

that this approval be contingent upon the execution of the standard Memorandum of

Understanding ("MOU") with the Hospitals for the approved contract. This document would

formalize the understanding between the Commission and the Hospitals, and would include

provisions for such things as payments of HSCRC-approved rates, treatment of losses that may

be attributed to the contract, quarterly and annual reporting, confidentiality of data submitted,

penalties for noncompliance, project termination and/or alteration, on-going monitoring, and

other issues specific to the proposed contract. The MOU will also stipulate that operating losses

under the contract cannot be used to justify future requests for rate increases.

Page 81: Health Services Cost Review Commission › Documents › HSCRC-Post-Meeting... · 2020-01-06 · Closed Session Minutes Of the Health Services Cost Review Commission February 8, 2017

IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTH * DOCKET: 2017

SYSTEM * FOLIO: 2185

BALTIMORE, MARYLAND * PROCEEDING: 2375A

Staff Recommendation

February 8, 2017

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I. INTRODUCTION

Johns Hopkins Health System (“System”) filed an application with the HSCRC on

January 18, 2017 on behalf of Johns Hopkins Hospital and Johns Hopkins Bayview Medical

Center (the “ Hospitals”) for an alternative method of rate determination, pursuant to COMAR

10.37.10.06. The System requests approval from the HSCRC to continue to participate in a

global rate arrangement for solid organ and bone marrow transplants services with INTERLINK

Health Services, Inc. The System requests approval for a period of one year beginning March 1,

2017.

II. OVERVIEW OF APPLICATION

The contract will continue to be held and administered by Johns Hopkins HealthCare,

LLC ("JHHC"), which is a subsidiary of the System. JHHC will manage all financial transactions

related to the global price contract including payments to the Hospitals and bear all risk relating

to regulated services associated with the contract.

III. FEE DEVELOPMENT

The hospital portion of the global rates was developed by calculating mean historical

charges for patients receiving the procedures for which global rates are to be paid. The remainder

of the global rate is comprised of physician service costs. Additional per diem payments were

calculated for cases that exceed a specific length of stay outlier threshold.

IV. IDENTIFICATION AND ASSESSMENT OF RISK

The Hospitals will continue to submit bills to JHHC for all contracted and covered

services. JHHC is responsible for billing the payer and collecting payments, disbursing payments

to the Hospitals at their full HSCRC approved rates, and reimbursing the physicians. The System

contends that the arrangement among JHHC, the Hospitals, and the physicians holds the

Hospitals harmless from any shortfalls in payment from the global price contract. JHHC

maintains it has been active in similar types of fixed fee contracts for several years, and that

JHHC is adequately capitalized to bear the risk of potential losses.

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V. STAFF EVALUATION

Although there has been no activity under this arrangement in the last year, staff believes

that the Hospitals can achieve a favorable experience under this arrangement.

VI. STAFF RECOMMENDATION

The staff recommends that the Commission approve the Hospitals' application for an alternative

method of rate determination for solid organ and bone marrow transplant services, for a one year

period commencing March 1, 2017. The Hospitals will need to file a renewal application for

review to be considered for continued participation, with approval contingent upon a favorable

evaluation of performance. Consistent with its policy paper regarding applications for alternative

methods of rate determination, the staff recommends that this approval be contingent upon the

execution of the standard Memorandum of Understanding ("MOU") with the Hospitals for the

approved contract. This document would formalize the understanding between the Commission

and the Hospitals, and would include provisions for such things as payments of HSCRC-

approved rates, treatment of losses that may be attributed to the contract, quarterly and annual

reporting, confidentiality of data submitted, penalties for noncompliance, project termination

and/or alteration, on-going monitoring, and other issues specific to the proposed contract. The

MOU will also stipulate that operating losses under the contract cannot be used to justify future

requests for rate increases.

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IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTHCARE, LLC * DOCKET: 2017

* FOLIO: 2186

BALTIMORE, MARYLAND * PROCEEDING: 2376A

Staff Recommendation

February 8, 2017

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I. INTRODUCTION

Johns Hopkins Health System (“System”) filed an application with the HSCRC on

January 18, 2017 on behalf of Johns Hopkins Hospital and Johns Hopkins Bayview Medical

Center (the Hospitals) for an alternative method of rate determination, pursuant to COMAR

10.37.10.06. The System requests approval from the HSCRC to continue to participate in a

global rate arrangement for solid organ and bone marrow transplants services with 6 Degrees

Health, Inc. The System requests approval for a period of one year beginning March 1, 2017.

II. OVERVIEW OF APPLICATION

The contract will continue to be held and administered by Johns Hopkins HealthCare,

LLC ("JHHC"), which is a subsidiary of the System. JHHC will manage all financial transactions

related to the global price contract including payments to the Hospitals and bear all risk relating

to regulated services associated with the contract.

III. FEE DEVELOPMENT

The hospital portion of the global rates was developed by calculating mean historical

charges for patients receiving the procedures for which global rates are to be paid. The remainder

of the global rate is comprised of physician service costs. Additional per diem payments were

calculated for cases that exceed a specific length of stay outlier threshold.

IV. IDENTIFICATION AND ASSESSMENT OF RISK

The Hospitals will continue to submit bills to JHHC for all contracted and covered

services. JHHC is responsible for billing the payer and collecting payments, disbursing payments

to the Hospitals at their full HSCRC approved rates, and reimbursing the physicians. The System

contends that the arrangement among JHHC, the Hospitals, and the physicians holds the

Hospitals harmless from any shortfalls in payment from the global price contract. JHHC

maintains it has been active in similar types of fixed fee contracts for several years, and that

JHHC is adequately capitalized to bear the risk of potential losses.

V. STAFF EVALUATION

Staff found that the activity under this arrangement was favorable for FY 2016.

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VI. STAFF RECOMMENDATION

The staff recommends that the Commission approve the Hospitals' application for an alternative

method of rate determination for solid organ and bone marrow transplant services, for a one year

period commencing March 1, 2017. The Hospitals will need to file a renewal application for

review to be considered for continued participation. Consistent with its policy paper regarding

applications for alternative methods of rate determination, the staff recommends that this

approval be contingent upon the execution of the standard Memorandum of Understanding

("MOU") with the Hospitals for the approved contract. This document would formalize the

understanding between the Commission and the Hospitals, and would include provisions for

such things as payments of HSCRC-approved rates, treatment of losses that may be attributed to

the contract, quarterly and annual reporting, confidentiality of data submitted, penalties for

noncompliance, project termination and/or alteration, on-going monitoring, and other issues

specific to the proposed contract. The MOU will also stipulate that operating losses under the

contract cannot be used to justify future requests for rate increases.

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IN RE: THE APPLICATION FOR * BEFORE THE MARYLAND HEALTH

ALTERNATIVE METHOD OF RATE * SERVICES COST REVIEW

DETERMINATION * COMMISSION

JOHNS HOPKINS HEALTH * DOCKET: 2017

SYSTEM * FOLIO: 2187

BALTIMORE, MARYLAND * PROCEEDING: 2377A

Staff Recommendation

February 8, 2017

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I. INTRODUCTION

Johns Hopkins Health System (“System”) filed a renewal application with the HSCRC on

January 18, 2017 on behalf of its member hospitals, Johns Hopkins Hospital, Johns Hopkins

Bayview Medical Center, and Howard County General Hospital (the “Hospitals”) requesting

approval from the HSCRC for continued participation in a global rate arrangement for solid

organ and bone marrow transplants with Preferred Health Care LLC. The Hospitals request that

the Commission approve the arrangement for one year beginning March 1, 2017.

II. OVERVIEW OF APPLICATION

The contract will continue to be held and administered by Johns Hopkins HealthCare,

LLC ("JHHC"), which is a subsidiary of the System. JHHC will manage all financial

transactions related to the global price contract including payments to the Hospitals and bear all

risk relating to regulated services associated with the contract.

III. FEE DEVELOPMENT

The hospital portion of the global rates was developed by calculating mean historical

charges for patients receiving the procedures for which global rates are to be paid. The remainder

of the global rate is comprised of physician service costs. Additional per diem payments were

calculated for cases that exceed a specific length of stay outlier threshold.

IV. IDENTIFICATION AND ASSESSMENT OF RISK

The Hospitals will continue to submit bills to JHHC for all contracted and covered

services. JHHC is responsible for billing the payer, collecting payments, disbursing payments

to the Hospitals at their full HSCRC approved rates, and reimbursing the physicians. The System

contends that the arrangement among JHHC, the Hospitals, and the physicians holds the

Hospitals harmless from any shortfalls in payment from the global price contract. JHHC

maintains that it has been active in similar types of fixed fee contracts for several years, and that

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JHHC is adequately capitalized to bear the risk of potential losses.

V. STAFF EVALUATION

Although there was no activity under this arrangement in the last year, staff is satisfied

that the hospital component of the global prices, which has been updated with current data, is

sufficient for the Hospitals to achieve favorable experience under this arrangement.

VI. STAFF RECOMMENDATION

The staff recommends that the Commission approve the Hospitals' application for an

alternative method of rate determination for solid organ and bone marrow transplant services, for

a one year period commencing March 1, 2017. The Hospitals will need to file a renewal

application for review to be considered for continued participation.

Consistent with its policy paper regarding applications for alternative methods of rate

determination, the staff recommends that this approval be contingent upon the execution of the

standard Memorandum of Understanding ("MOU") with the Hospitals for the approved contract.

This document will formalize the understanding between the Commission and the Hospitals, and

will include provisions for such things as payments of HSCRC-approved rates, treatment of

losses that may be attributed to the contract, quarterly and annual reporting, confidentiality of

data submitted, penalties for noncompliance, project termination and/or alteration, on-going

monitoring, and other issues specific to the proposed contract. The MOU will also stipulate that

operating losses under the contract cannot be used to justify future requests for rate increases.

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Final Staff Recommendation on the Johns Hopkins Blomberg School of Public Health Request to Access HSCRC Confidential Patient Level Data.

Health Services Cost Review Commission

4160 Patterson Avenue, Baltimore, MD 21215

February 8, 2017

 

 

 

 

 

 

 

 

 

This is a final recommendation for Commission consideration at the February 8, 2017 Public Commission Meeting. 

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2  

SUMMARY STATEMENT

The Johns Hopkins Bloomberg School of Public Health, Department of Health Policy and Management is requesting to use limited confidential data to help develop and support programs that may decrease the rate of falls among the elderly that lead to hospital admissions.

OBJECTIVE

To accomplish this research, the Johns Hopkins Bloomberg School of Public Health, Department of Health Policy and Management will be using the confidential data elements, in conjunction with other publicly available data, to develop and validate the spatio-temporal risk prediction trajectory model and to evaluate the falls risk score. The limited dataset will include confidential variables such as dates of service and age, as well as location at a census block group level that will be provided by CRISP. Investigators received approval from the Johns Hopkins School of Public Health - Institutional Review Board (IRB) on August 24, 2016. These data will not be used to identify individual hospitals or patients. The data will be retained by John Hopkins until June 30, 2020; at that time, the files will be destroyed and a Certification of Destruction will be submitted to the HSCRC.

REQUEST FOR ACCESS TO THE CONFIDENTIAL PATIENT LEVEL DATA

All requests for Confidential Data are reviewed by the Health Services Cost Review Commission Confidential Data Review Committee. The role of the Review Committee is to review applications and make recommendations to the Commission at its monthly public meeting. Applicants requesting access to the confidential data must demonstrate:

1. that the proposed study/ research is in the public interest; 2. that the study/ research design is sound from a technical perspective; 3. that the organization is credible; 4. that the organization is in full compliance with HIPAA, the Privacy Act, Freedom Act, and all

other state and federal laws and regulations, including Medicare regulations; 5. that there are adequate data security procedures to ensure protection of patient confidentiality.

The independent Confidential Data Review Committee, comprised of representatives from HSCRC staff, the Department of Health and Mental Hygiene (“DHMH”), Anne Arundel County Department of Health, The Hilltop Institute at the University of Maryland Baltimore County and the University Of Maryland School of Medicine –National Study Center for Trauma and EMS, reviewed the application to ensure it meets the above minimum requirements as outlined in the application form.

The Confidential Review Committee unanimously agreed to recommend access to a confidential limited data set. As a final step in the evaluation process, the applicant will be required to file annual progress reports to the Commission, detailing any changes in goals or design of project, any changes in data handling procedures, work progress, and unanticipated events related to the confidentiality of the data. Additionally, the requester will submit to HSCRC a copy of the final report for review prior to public release.

STAFF RECOMMENDATIONS

1. HSCRC staff recommends that the request for the limited inpatient and outpatient confidential data files for Calendar Year 2013 through 2015 be approved.

2. This access will be limited to identifiable data for subjects enrolled in the research.

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Maryland Health Services Cost Review Commission

Nurse Support Program I (NSP I) FY 2013 & 2014: Outcomes Evaluation & Recommendations

Claudine Williams, HSCRCDr. Joan Warren, Consultant

February 8, 2017

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Background

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Goals of NSP I

Grow & retain bedside hospital Registered

Nurses (RNs) More than 60,000 RNs in the state of Maryland More than half employed by hospitals

Advancement of the Nursing Workforce

Improved Hospital Quality and Safety

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2012 NSP I Program RenewalNSP I aims aligned with IOM Future of Nursing recommendations: Education and career advancement (nurse residency programs

& advanced nursing degrees) Improved Quality and Safety of Our Hospitals (certification &

continuing education) Advancement of the Nursing Workforce (achievement of

Nursing Excellence- ANCC Magnet® or Pathway to Excellence® designation)

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Summary of FY 2013-2014 Data

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50%

14%

15%

11%

10%

Nurse Residency Programs

Tuition Assistance RNs

RN Continuing Education

RN Nursing Excellence

Orientation Critical NeedAreas

2013 Top Funding Categories

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35%

21%

21%

12%

11%Nurse Residency Programs

Orientation Critical Need

Tuition Assistance RN

Nursing Excellence

Continuing Education

2014 Top Funding Categories

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Education & Career Advancement

2013 & 2014 > 2,000 newly licensed RNs completed hospital based nurse residency programs

Turnover: 2013 - 12% (107) vs 2014 - 7% (70)

Nurse Residency Programs

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Education & Career Advancement

RN Advanced Nursing Degrees

Nursing Student Basic Licensure RN Degrees

Double the number of RNs graduating with master’s degrees

Decreased attrition of RNs enrolled in advanced degree programs

6% increase in hiring after successfully completing basic RN degrees

9% decline in nursing student attrition

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Education & Career Advancement

Investment in programs doubled, but turnover rates for critical need positions increased 25percentage points between 2013 and 2014

CNOs struggling with transitioning RNs in to hard to fill positions and roles:

Emergency Room

Nurse Manager

Critical Care

Nurse Director

Operative Room/Peri-operative

Hospital-based Nurse Educator

Orientation Programs for Critical Need Positions

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Patient Quality and Safety

8% increase in the number of certified RNs working in hospitals

7 hospitals attained/maintained MedStar Franklin Square Medical

Center Mercy Medical Center Sinai Hospital of Baltimore The Johns Hopkins Hospital University of Maryland Medical Center UM Shore Medical Center at Easton UM Shore Medical Center at

Dorchester

Certifications

Magnet®

Designation

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Continued Monitoring/Improvement Improve reporting of NSP I program expenditures by

hospitals Improve reliability and accuracy of outcome data Monitor orientation turnover data of RNs in areas of

critical need Assess demand in Maryland for the offering of nurse

refresher programs for re-entry into practice Track trending of recruitment and retention rates and

agency use

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Next Steps

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Next Steps Analyze and report on 2013 – 2016 outcome data

Convene NSP Steering Committee to draft recommendations for next 5-year renewal

Develop instructional guide and educational webinar to improve hospital data reporting

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Nurse Support Program I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and 

Recommendations for Future Funding 

February 8, 2017 

Health Services Cost Review Commission 4160 Patterson Avenue 

Baltimore, Maryland 21215 (410) 764‐2605 

FAX: (410) 358‐6217 

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Table of Contents 

Executive Summary ...........................................................................................................................1

Purpose ...............................................................................................................................................3

Background ........................................................................................................................................3

Data Collection ..................................................................................................................................5

2013 – 2014 Data Summaries ............................................................................................................5

Hospital Reporting .......................................................................................................................6

Programs Supported through the NSP I .......................................................................................6

Education and Career Advancement ............................................................................................7

Nurse Residency Programs ....................................................................................................7

Orientation Programs for Hard-to-Fill Critical Need Positions .............................................8

Tuition Assistance ..................................................................................................................9

RN Transitional Program (Refresher Course) .......................................................................9

Patient Quality and Satisfaction ...................................................................................................10

RN Certification and Continuing Education ..........................................................................10

Advancing the Practice of Nursing ..............................................................................................11

Nursing Excellence ................................................................................................................11

Shared Governance ................................................................................................................11

Research .................................................................................................................................11

Hospital Metrics (Vacancy, Turnover, Agency Use) .............................................................11

Summary ............................................................................................................................................12

References ..........................................................................................................................................13 

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Draft: Nurse Support I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding 

1

EXECUTIVE SUMMARY 

Transforming nursing, the single largest sector of the health care professions (almost 4 million registered nurses nationally and 60,602 in the state of Maryland), will dramatically impact not only the nation’s health care system, but also Maryland’s. Early on, the Maryland Health Services Cost Review Commission (HSCRC) recognized the importance of nursing to the health of the nation and the State. To that end, the HSCRC implemented the first phase of the Nurse Support Program I (NSP I) in June 2001 to address the short- and long-term issues of recruiting and retaining nurses in Maryland hospitals. Since program implementation, approximately $96 million (fiscal year [FY] 2001 through FY 2014) has been funded in rates to support the NSP I.

In 2012, the NSP I aims were aligned with the Institute of Medicine’s (IOM’s) recommendations in its Future of Nursing report, including the following:

1. Education and career advancement. This area includes initiatives that increase the number of advance degree nurses, nursing residency programs, leadership initiatives, and succession planning.

2. Patient quality and satisfaction. This area includes data collection efforts that can demonstrate the link between improved nursing competency and better patient outcomes.

3. Advancing the practice of nursing. This area includes activities that advance the practice of nursing, such as nurse-driven evidenced-based research, attendance at symposiums and research conferences, and achieving or maintaining the American Nurses Credentialing Center’s Magnet® designation.

With these recommendations came the development of nursing and organizational metrics to assess hospitals progress in achieving these program aims. This report contains the first two years of data for FYs 2013 and 2014 using the revised organizational metrics and a new secure, web-based data collection tool. Program achievements and areas for continued monitoring and improvement are highlighted below.

NSP I achievements in FYs 2013 and 2014 include:

More than 2,000 newly licensed registered nurses completed hospital-based nurse residency programs, reducing new graduate turnover by 6 percent.

Doubled the number of registered nurses graduating with master’s degrees in nursing, while reducing the attrition rate of registered nurses enrolled in advanced degree programs from 3.6 to 2 percent.

Increased the number of new registered nurse graduates hired by hospitals supporting their education through the NSP I by six percent.

Reduced student nurse attrition by 9 percent.

Increased the number of professionally certified registered nurses working in Maryland hospitals by 8 percent.

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Draft: Nurse Support I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding 

2

Attained or maintained Magnet® designation in seven Maryland hospitals.

Areas for continued monitoring and improvement include the following:

Improve hospital reporting of individual program expenditures supported by the NSP I.

Improve reliability and accuracy of FY 2015 and 2016 outcome data.

Monitor orientation programs turnover data of newly licensed and experienced registered nurses working in areas of critical need, such as emergency departments, critical care, and perioperative care.

Determine the demand in Maryland for the offering of nursing transition (refresher) programs enabling registered nurses to re-enter the profession.

Monitor recruitment and retention rates and agency usage for trends.

 

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Draft: Nurse Support I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding 

3

PURPOSE 

This report summarizes the Nurse Support Program I (NSP I) hospital activities and resultant outcomes for fiscal years (FYs) 2013 and 2014.

BACKGROUND 

The NSP I was instituted in response to forecasts of significant short- and long-term shortages of registered nurses (RNs) in the state of Maryland and nationally. To ebb these severe and cyclical nursing shortages in 1986, the Maryland Health Services Cost Review Commission (HSCRC) implemented the Nurse Education Support Program (NESP), which focused on supporting college- and hospital-based training of RNs and licensed practical nurses (LPNs). Over the next decade (1986 to 1995), the HSCRC allocated approximately $7 million in hospital rates to 37 hospitals participating in this program.

After consecutive years of economic growth in the national economy in the late 1990s and early 2000s, new forecasts of nursing shortages again spurred the HSCRC into action, and NSP I was implemented. The intent of this five-year, non-competitive grant program was to increase the number of bedside hospital nurses through retention and recruitment activities. Annually, hospitals have been eligible to receive the lesser of their budget request or up to 0.1 percent of the hospital's gross patient revenue through hospital rate adjustments for approved projects that meet the goals of the NSP I. Since its inception in 2001, hospitals have taken significant action to successfully grow and sustain the state’s hospital RN workforce.

Between FY 2001 and 2006, participating Maryland hospitals received nearly $36 million in rates. In 2005, HSCRC staff evaluated program outcomes. Although the HSCRC supported renewing the NSP I for another five years (FY 2008-2012), staff recommended significant program changes. Changes focused on simplifying the application process and improving reporting of hospital activities by standardizing annual reports and financial and annual data reporting requirements.

As the NSP I approached its 2013 renewal date, HSCRC staff conducted a second program evaluation. Findings demonstrated that the Maryland hospital RN workforce grew significantly between FY 2007 and 2011, anywhere from 15 percent to more than 25 percent (as reported by 11 hospitals). Although difficult to measure the direct impact of NSP I funds, nurse leaders attributed much of the growth and retention of bedside hospital RNs to the NSP I. During these years, NSP I funds supported innovative programs, such as nurse residency programs for new nursing graduates, advanced nursing education and ongoing continuing education for clinical and non-clinical staff, nursing professional certification, and innovative programs to foster nursing excellence, improve patient care, and obtain recognition as a Magnet® or Pathway to Excellence® recognition—a top honor for hospitals that recognizes nursing excellence and quality patient care.

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Draft: Nurse Support I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding 

4

However, the economic recession that emerged in 2008 may have also substantially influenced the RN labor market in Maryland. With the slowing of the economy, RNs delayed retirement, and many RNs returned to the workforce to financially support their families. Although the increases in supply strengthened and stabilized the RN workforce, future impending shortages were projected as the economy improved. The number of health care consumers—many with chronic diseases—coupled with the aging of the population has contributed to an ever-increasing demand for finite health care services. The Health Resources and Services Administration (HRSA) predicted that Maryland would be one of 16 states to experience a nursing shortage, while the nation as a whole would have a mild surplus of 340,000 RNs (HRSA, 2014). Because of these impending trends, the HSCRC supported renewal of the NSP I for an additional five years from FY 2013 to FY 2018. Similar to its previous renewal, significant changes were made to the program based on a review of health care trends.

Unprecedented changes like the Affordable Care Act, the Quadruple Aimi, and the Institute of Medicine’s (IOM’s) Future of Nursing Report (2010) reshaped the health care landscape. With the changes in payment models, health care access, and emphasis on better quality, safety, and experience for patients came the recognition that the role of professional nurses in the health care environment also must change.

To that end, the NSP I aims were aligned with the Institute of Medicine’s 2010 Future of Nursing report, which included recommendations to better prepare the future hospital RN workforce in Maryland. Below are the recommended NSP I categories and hospital initiatives to achieve the eight IOM key recommendations for transforming the nursing workforce.

Education and career advancement. This area includes initiatives that support newly licensed or experienced RNs as they transition into practice or to new practice environments (i.e., nursing residency programs) and increase the number of new and advanced degree nurses (tuition assistance).

Nurse residency program

Orientation critical need

Transitional (nurse refresher) program

RN tuition assistance

Nursing student tuition assistance

Patient quality and satisfaction. This area includes efforts that can demonstrate the link between improved nursing competency and better patient outcomes (certification) and develops nurses as lifelong learners and prepares them as leaders (continuing education).

RN professional certification

RN technical certification

RN continuing education

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Draft: Nurse Support I (NSP I) Outcomes Evaluation FY 2013 – FY 2014 and Recommendations for Future Funding 

5

Advancing the practice of nursing. This area includes activities that support an environment for nursing excellence, such as clinical staff-driven evidenced-based research in nursing, attendance at symposiums and research conferences, and the ability to support hospitals in achieving or maintaining Magnet® status.

Nursing excellence (Magnet® or Pathway to Excellence® designation)

Shared governance model

Evidence-based practice, quality improvement, and/or research projects

With these recommendations came the development of nursing and organizational metrics to assess hospitals’ progress in achieving the program aims. This report shares the most recent outcome data collected from hospitals participating in the NSP I from FY 2013 through FY 2014. This report discusses the continued growth of nurses as health care professionals and their impact on the health care delivery system in Maryland, as well as areas of continued improvement needed in optimizing the use of NSP I funds.

DATA COLLECTION 

In 2013, nurse and hospital leaders and HSCRC staff revised the annual report to include standardized outcome metrics that addressed the varied programs for each of the three newly proposed program aims. For consistency in measurement, outcome metrics were operationalized using nationally accepted definitions. Unlike previous reports, the newly revised report also contained a financial section requesting hospitals to report actual expenditures (administrative and project costs) for each of the programs supported by the NSP I.

The revised annual report consists of three sections: an end-of-year financial report, hospital program outcome metrics, and overall hospital metrics, such as vacancy and turnover data. In Section 1, NSP I coordinators report their hospital’s actual expenditures, including administrative and project costs. Additionally, respondents report individual program expenditures for each of the varied programs supported by the NSP I. In Section 2, hospitals report outcome metrics for each of the varied programs. For example, if the hospital invests NSP I funds in a nurse residency program, professional RN certification, tuition assistance, and Magnet® activities, the hospital must report outcome metrics associated with each of those programs. Section 3 collects standardized metrics about RN recruitment, retention, and vacancy rates, as well as hospital use of agency RNs.

HSCRC staff require hospitals to complete the online annual report and submit their reported actual expenditures for each fiscal year. A secure, web-based data collection tool is used for ease of data entry, costs, and data accuracy.

2013 – 2014 DATA SUMMARIES 

The following is an interim summary of the NSP I annual report for FYs 2013 and 2014.

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Hospital Reporting 

In 2013, 47 of the 50 eligible Maryland hospitals submitted the required data collection tool and end-of-year expense report (94 percent response rate). Many of the data collection tools had large amounts of missing data. Of the 47 hospitals that submitted, only 45 were included in the final analysis due to incomplete data entry. In 2014, 46 hospitals (96 percent) out of the 50 eligible hospitals submitted reports. Again, one survey was excluded from the final analysis due to incomplete data entry.

Programs Supported through the NSP I 

More than $16 million of NSP I funds were invested in RNs at the participating hospitals in FYs 2013 and 2014. A comparison of the actual project, administrative, and total expenditures for both years found that hospitals evenly split their funds; they used half for project management and the other half for personnel costs.

Hospitals were also asked to report the distribution of NSP I funds by program (Figures 1 and 2). Almost 30 percent or more of NSP I funds supported nurse residency programs. Additionally, there was widespread support for tuition assistance, continuing education, and programs to achieve either Magnet® or Pathway to Excellence® designation. The biggest change in program funding between FYs 2013 and 2014 occurred in the category of orientation for nurses transitioning to critical need areas, which doubled from 9 percent to 18 percent, respectively.

Figure 1. Top NSP I Funding Categories, FY 2013 

50%

14%

15%

11%

10%

Nurse Residency Programs

Tuition Assistance RNs

RN Continuing Education

RN Nursing Excellence

Orientation Critical Need Areas

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 Figure 2. Top NSP I Funding Categories, FY 2014 

However, the ability to make inferences about total expenditures by individual program is problematic. When comparing total individual program expenditures (i.e., the sum of individual program expenses) with the total reported NSP I expneditures, staff found an unexplained variance of 30 percent. NSP I coordinators attribute the underreporting of NSP I funds by program to a misunderstanding of the question, lack of knowledge of NSP I expenditures, and not meeting with financial officers for assistance.

Education and Career Advancement 

Preparing a highly educated nursing workforce for Maryland is one of the primary focuses of the NSP I. Funds may be used by hospitals to support:

Nurse residency programs to adequately train and retain newly licensed RNs.

Nursing orientation programs for RNs transitioning practice to hard-to-fill or areas of critical need.

Tuition assistance for RNs to advance their educational preparation or nursing students to increase the number of RNs for hospitals.

Transitional or refresher courses for RNs who left nursing and require a Maryland Board of Nursing-approved refresher course to receive licensure to re-enter the profession.

Nurse Residency Programs 

Approximately half of the responding hospitals invested NSP I funds into nurse residency programs. Through the use of NSP I funds, hospitals were able to fund program coordinators and

35%

21%

21%

12%

11%

Nurse Residency Programs

Orientation Critical Need

Tuition Assistance RN

Nursing Excellence

Continuing Education

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instructors, nurse residents’ or other staff salaries that facilitate resident attendance, and program expenses such as educational materials. More than 2,000 residents graduated from these programs between 2013 and 2014. Further, the reported turnover rate was reduced by 5 percentage points, from 12 percent in 2013 to 7 percent in 2014. Comparing hospital hiring practices for baccalaureate-prepared (BSN) and associates degree (AD) RNs, it appeared hospitals preferred hiring BSN nurses. In fact, BSNs were twice as likely to be hired in both years compared to their AD counterparts.

Nurse residency programs prevent newly licensed RNs from leaving their employer or the profession entirely. Nurse residency programs improve organization, management, communication, and clinical skills, as well as retention of newly licensed RNs, and reduce hospital costs associated with attrition (IOM, 2010; National Academies of Sciences, Engineering, and Medicine, 2015). Unlike other professions in medicine, transition programs (referred to as residencies) have not been mandated by the nursing profession to integrate new graduates into the workplace. Maryland is recognized nationally as a leader in the nurse residency program, having one of the only statewide collaborative models and financial support through the NSP I promulgating these programs.

Orientation Programs for Hard‐to‐Fill Critical Need Positions 

About half of the hospitals reported using NSP I funds to support implementation of orientation programs for hard-to-fill critical need positions. Although the numbers of hospitals reporting use of these funds declined in 2014, the amount of NSP I funds invested in these programs doubled. Unlike nurse residency programs, outcome metrics associated with orientation programs were discouraging. Even after doubling the investment into these programs, the turnover rate substantially increased from 41 percent in 2013 to 66 percent in 2014. Hospitals attribute this high turnover rate to the hiring of newly licensed nurses, who lack the preparation and skill sets to function in these highly complex and stressful work environments.

Nationally, nurse leaders are struggling with transitioning newly licensed RNs and experienced RNs into hard-to-fill and critical new leadership and clinical roles. Maryland hospital workforce data, collected from hospital Chief Nursing Officers (CNOs) to inform and align the goals of the NSP II (academic nursing programs) with the NSP I (hospital programs), found that the top three most difficult departments for which to hire RNs were emergency, critical care, and operating room/perioperative. Approximately 50 percent of the CNOs also identified nurse manager, director, and nursing professional development practitioner (hospital-based nurse educator) as difficult roles to fill. Furthermore, respondents cited a need for experienced clinical bedside nurses. Efforts to expand and encourage partnerships between academic and hospital nurse leaders to prepare nurses for present and future roles and produce the nurse with right skill sets to meet new care delivery models/workforce requirements in Maryland should continue to be promulgated by the NSP I. In addition, the quality of the transition to practice programs and current hiring practices should be evaluated by hospital nurse leaders.

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Tuition Assistance 

Tuition Support for RNs Enrolled in Advanced Nursing Degree Programs

The IOM Future of Nursing report called for 80 percent of RNs to hold a baccalaureate degree by 2020 (2010). As previously cited, RNs with advanced degrees are needed to fill a variety of leadership roles. In an effort to advance nursing education, about 15 hospitals spent $3.4 million between FY 2013 and 2014 on tuition assistance for nursing education through the NSP I. Approximately 230 hospital RNs graduated with advanced nursing degrees. RNs completing master’s degrees almost doubled from 19 to 40 in FY 2014. The student attrition rate also fell during these two years from 3.6 percent to 2 percent.

The surge in the number of master’s-prepared RNs may be partially attributed to the synergistic effect of the NSP I and II programs. In 2006, an NSP II grant by Dr. Mills (University of Maryland School of Nursing), Dr. Warren (Franklin Square Medical Center) and Dr. Regier (University of Maryland Medical Center) was funded to fill expected vacancies in the nursing work force and reduce the shortage of clinical nursing instructors through a strategic partnership between the university school of nursing and two acute care hospitals. The specific aim of this proposal was to use shared resources of each hospital and the school of nursing to increase the pool of nurses available as clinical instructors. An additional aim was to develop a path for more graduate-educated nurses to serve as student nurse preceptors in Maryland by offering an easily accessible online master of science program to students at each institution. The original program has grown from the 2 hospitals to 18 participating hospitals.

Tuition Support for Nursing Students Enrolled in a Basic Licensure Program

Although the number of hospitals that reported offering tuition assistance to student nurses through the NSP I decreased by more than 25 percent, the number of students supported through these funds remained essentially unchanged at slightly over 120 recipients per year. Approximately 140 students graduated from their basic licensure programs. Of these graduates, their supporting hospitals increased their hiring rates from 85 percent in 2013 to 91 percent in 2014. Student attrition rates also fell by 9 percentage points, from 14 percent to 5 percent. Of interest, the number of students receiving tuition assistance enrolled in associates degree programs declined. It is unclear if the desire for a BSN degree is the student’s or the hospital’s preference. Although hospital-reported support through the NSP I for tuition assistance declined for students, the number of graduates has remained constant, and more hospitals are hiring new graduates to fill positions being vacated by older counterparts as they start to exit the workforce with the improving economy.

RN Transitional Program (Refresher Course) 

The number of hospitals investing in refresher courses for RNs to renew their licensure to return to work fell from 16 in 2013 to 11 in 2014. Funding by hospitals was also substantially cut by approximately $223,160 ($276,300 in 2013 and $53,140 in 2014). Mirroring this trend, the

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number of RNs completing the refresher program decreased from 23 in 2013 to only 2 in 2014. The demand for these programs is unknown, making it difficult to determine if a greater number is needed in the future.

Patient Quality and Satisfaction 

A well-educated nursing workforce is fundamental to transforming the nursing profession and will address the increasing demand for safe, high-quality, and effective health care services. Under this dimension, hospitals may use NSP I funds to support nursing certification and continuing education programs for gaining leadership skills and obtaining and maintaining competency, advancing evidence-based practice and research, or advancing nursing excellence programs (Magnet® and Pathway to Excellence®).

RN Certification and Continuing Education 

Certification

Hospitals offering certification programs through the NSP I increased by 25 percent during the two years. Through the NSP I, the number of certified RNs increased by 8 percentage points, from 17 percent at the start of FY 2013 to 25 percent at the end of FY 2015. The majority of hospitals used a combination of online and face-to-face teaching methods to educate their staff. RNs obtained certification in multiple specialty nursing areas, ranging from medical-surgical, to women’s health, to wound care, and nurse executive certifications. “After nurses obtain their degrees, lifelong learning is necessary to provide quality patient care” (National Academies of Sciences, Engineering and Medicine, 2015). Certification is one method of demonstrating continued learning and competence in a nursing specialty.

Continuing Education

Provision of ongoing continuing education is another method to foster lifelong learning. Almost half of the hospitals over the course of the two years reported use of NSP I funds to support internal and external continuing education programs for RNs. However, the amount invested in internal continuing education programs decreased by 30 percent in year two. As expected, the reported number of attendees at these courses also declined from 4,592 (hospital M=209) in 2013 to 3,494 (hospital M=159) in 2014. Unlike the offering of internal courses, the number of hospitals using funding for external continuing education courses increased and similarly attendance increased from 2,446 (hospital M=116) in 2013 to 3,494 (hospital M=159) in 2014. For both years, the majority of the continuing education courses focused on evidence-based practice.

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Advancing the Practice of Nursing 

Subsumed under the category of advancing the practice of nursing are funding categories to support nursing excellence programs including Magnet® and Pathway to Excellence® designation, shared governance models, and evidence-based practice and research.

Nursing Excellence 

With funding from the NSP I, seven hospitals in Maryland have successfully achieved Magnet® designation. Of those hospitals, six were re-designated as Magnet® hospitals in FY 2013 and 2014. An additional 13 Maryland hospitals are pursuing either Magnet® or Pathway to Excellence® designation. Magnet designated hospitals and initial and re-designation dates are listed below.

Mercy Medical Center (2011)

Sinai Hospital of Baltimore (2008; 2013)

MedStar Franklin Square Medical Center (2008; 2013)

Johns Hopkins Hospital (2003; 2008; 2013)

University of Maryland Medical Center (2009; 2014)

UM Shore Medical Center at Easton (2009; 2014)

UM Shore Medical Center at Dorchester (2009; 2014)

Shared Governance 

Shared governance is an organizational structure that provides clinical nurses with a voice in determining nursing practice, standards, and quality of care. Approximately one-third of the reporting hospitals were able to support their shared governance models through the NSP I. Funding paid for staff to attend or backfill positions facilitating staff attendance at meetings. For example as one survey respondent wrote, “Paid education/council meeting time is built into every unit based budget. Nursing staff are scheduled to cover for each other at shorter meetings.”

Research 

The NSP I supports the science of nursing. The numbers of hospitals involved in research studies has grown from five in 2013 to eight in 2014. Examples of these projects include studies about nurse residency retention, perinatal depression, and healthy work environments. Additionally, funds support nurse residents in conducting evidence-based practice projects as part of their learning experience.

Hospital Metrics (Vacancy, Turnover, Agency Use) 

RN vacancy rates increased by 3 percentage points, and RN voluntary turnover rates increased by 2 percentage points between FY 2013 and 2014. However, RN involuntary turnover rates and

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new hire retention rates remained unchanged. Although a slight increase in vacancy and turnover rates occurred, use of agency RNs declined. Hospitals reported using an additional 5,079 RN agency full time equivalents (FTEs) for 40,629 hours worked during a 2 week pay period that includes February 1, 2013 compared to 3,198 RN agency FTEs for 25,582 hours worked in the same two week pay period that includes February 1, 2014. Similarly, use of agency LPN FTEs decreased from 62 (493 hours worked) to 27 (213 hours worked).

Table 1. Hospital Vacancy, Turnover, and Retention Rates, FY 2013‐2014 Metric 2013 2014 RN Vacancy Rate 9% 11% RN Voluntary Turnover 12% 14% RN Involuntary Turnover 4% 4% RN New Hire Retention Rate 76% 76%

SUMMARY 

This data analysis identified the need for hospitals to improve the reporting of organizational metrics and use of NSP I funds. HSCRC staff met with NSP I coordinators to discuss issues with reporting and methods to improve their ability to provide reliable and accurate data. To that end, staff developed a more complete instructional guide, added and revised operational definitions,, and offered a live educational webinar (which was recorded for later viewing) to NSP I coordinators. Data collection for FYs 2015 and 2016 was completed in December 2016 and will be analyzed in 2017.

As the economy improves, significant geographical shortages of health care providers and nurses are projected (HRSA, 2016). Workforce data will be monitored for the coming years to determine if these changes reflect impending trends and changes in the workforce. From these, data recommendations will be made for the NSP I.

The HSCRC’s investment in nursing practice and education is as timely and relevant today as it was decades ago. Transforming nursing in Maryland will, by virtue of the sheer numbers in hospitals, have far reaching statewide effects on the quality and safety of the state’s hospitals.

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REFERENCES 

Bodenheimer, T., & Sinsky, C. (2014). From triple to quadruple aim: Care of the patient requires

care of the provider. Annals of Family Medicine, 12(6), 573-576. doi: 10.1370/afm.1713

Health Resources and Services Administration (HRSA). (2016). Shortage designation: Health

professional shortage areas and medically underserved areas/populations. Retrieved from http://www.hrsa.gov/shortage/

IOM (Institute of Medicine). (2010). The future of nursing: Leading change, advancing

health.Washington, DC: The National Academies Press. National Academies of Sciences, Engineering and Medicine. (2015). Assessing progress on the

Institute of Medicine report The Future of Nursing. Washington, DC: The National Academies Press. Retrieved from http://www.nationalacademies.org/hmd/Reports/2015/Assessing-Progress-on-the-IOM-Report-The-Future-of-Nursing.aspx

U.S. Department of Health and Human Services, Health Resources and Services Administration,

National Center for Health Workforce Analysis, (2014). The future of the nursing workforce: National- and state-level projections, 2012-2025. Rockville, MD: Author.

i The Quadruple Aim includes the original Triple Aim components (enhancing patient experience, improving population health and reducing costs) and adding the goal of improving the work life of health providers, including clinicians and staff (Bodenheimer, T., & Sinsky, C. (2014)).

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Final RY 2018 and RY 2019 QBR Recommendation

Commission Meeting02/08/2017

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RY 2018 QBR Program Scaling Proposal Adjust retrospectively the RY 2018 QBR preset scale for

determining rewards and penalties using final RY 2018 performance period scores

Use a relative scale to linearly distribute rewards (above average) and penalties (below average) based on the final QBR scores, without revenue neutrality adjustment Same methodology as approved retrospectively for RY 2017 Exploring options to obtain data earlier for QBR score calculation;

anticipate RY 2018 revenue adjustments January 2018

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RY19 QBR Updates No change to RY 2019 measures

and domain weighting: Update mortality measure to include

palliative care PSI-90 – currently no ICD-10 version

Measure Development and Monitoring CY 2017: ED wait times THA/TKA complication measure

Clinical Care15%

Safety35%

Person Engagement

50%

QBR Domain Weights

Mortality25%

Safety25%

Person Engagement

25%

Efficiency25%

VBP Domain Weights

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RY19 QBR Scaling Goal is to incentivize all MD hospitals to improve and

achieve performance on par with the nation Final Score Scale vs. Prospective Scale Predetermined performance targets and financial impact Ensure performance aligns with revenue adjustments

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Attainment Score Calculations

5

0 points 10 points

Threshold(National Average)

Benchmark(mean of the top quartile

National)

2 4 6 8

One QBR Measure-Risk Adjusted Rate or Percent of Patients

*Mortality and PSI measures are based on state average and top performance benchmarks.

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QBR Score Calculations Better of Attainment or Improvement = 0-10 points Maximum Available Points= 10 Points* Number of

Measures Actual Hospital Points= Sum of Hospital Points QBR Final Score= Actual Hospital Points/Maximum

Available Points 0% = None of the rates are at the average 100%= All of the rates are at the top 5 %

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Applying Final Score to Scaling Full Score: Range 0-100%, mid-point 50% State distribution: 7%-57%, average 37% Scaling based on state distribution recalibrates the

payment adjustments back to state performance Predetermined scores should be more specifically

tied to the state’s performance compared to national rates Performance benchmarks for each measure (Thresholds

and benchmarks) are based on national rates Scaling methodology does not reflect performance

standards as the total scores are lower

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Scaling Considerations Which scores should be used for maximum rewards

and penalties? Which score should be used as cut point to turn from

penalty to reward zones? 80% represents realistic max possible score Rewards can be increased in commensurate with higher

points Increase the maximum reward from 1% to 2% inpatient

revenue

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QBR Scaling Options

Final QBR ScorePayment 

Adjustment

0.00 ‐2.00%

0.10 ‐1.60%

0.20 ‐1.20%

0.30 ‐0.80%

0.40 ‐0.40%

0.50 0.00%

0.60 0.40%

0.70 0.80%

0.80 1.20%

0.90 1.60%

1.00 2.00%

Payment Threshold 0.50

Final QBR ScorePayment 

Adjustment

0.00 ‐2.00%

0.10 ‐1.56%

0.20 ‐1.11%

0.30 ‐0.67%

0.40 ‐0.22%

0.45 0.00%

0.50 0.29%

0.60 0.86%

0.70 1.43%

0.80 2.00%

0.80 2.00%

Payment Threshold 0.45

Final QBR ScorePayment 

Adjustment

0.00 ‐2.00%

0.10 ‐1.50%

0.20 ‐1.00%

0.30 ‐0.50%

0.40 0.00%

0.50 0.50%

0.60 1.00%

0.70 1.50%

0.80 2.00%

0.80 2.00%

Payment Threshold 0.40

Final QBR 

Scores

% Revenue 

Impact

0.07 -2.00%0.20 -1.13%0.31 -0.40%0.31 -0.40%0.37 0.00%0.40 0.15%0.49 0.60%0.57 1.00%

FY 2017 Final QBR Score Based 

Scaling

FY 2017 Full Score Range Option 1 Option 2

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Modeling of QBR Scaling Results

RY 19 Scaling Options Min Cut Point MaxStatewide Penalties

Statewide Rewards

Final Scores (max reward 1%) 7% 37% 57% ‐$20M +11MFull Scale Options Max Reward 2%

Full Score Range 0% 50% 100% ‐49M +1MOption 1 0% 40% 80% ‐24M +7MOption 2 0% 45% 80% ‐37M +3MNote:  Modeling based on RY17 Final Scores

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Final RY19 Recommendations

Staff recommends the following for RY 2019: Maintain RY 2018 domain weights: 50 percent for Patient

Experience/Care Transition, 35 percent for Safety, and 15 percent for Clinical Care.

Move to a modified full score distribution ranging from 0-80%, and linearly scale penalties and rewards at 45% cut point.

Maintain 2% maximum penalty and increase the maximum reward to 2 percent as the achieving rewards will be based on full score distribution.

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RY2018 and RY2019 Final Recommendation for QBR Policy

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Final Recommendations for Updating the Quality-Based Reimbursement Program for

Rate Year 2018 and 2019

February 8, 2017

Health Services Cost Review Commission 4160 Patterson Avenue

Baltimore, Maryland 21215 (410) 764-2605

FAX: (410) 358-6217

This recommendation is final recommendation ready for Commission action. Final recommendations are updated from the draft recommendations presented at October 19th and December 14th, 2016 Commission meetings. Updated sections are highlighted and bolded in

the text. This recommendation was approved by the Commission at the February 8, 2017 meeting.

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Table of Contents

List of Abbreviations ...................................................................................................................... 2

Introduction ..................................................................................................................................... 3

Background ..................................................................................................................................... 3

Federal VBP Program ............................................................................................................... 3

Maryland’s Current QBR Program (RY 2018 Performance Period) ........................................ 4

Assessment ...................................................................................................................................... 5

Performance Results on QBR and VBP Measures with Most Recent Data Available ............. 5

Safety Measures .................................................................................................................. 7

Experience of Care Measures ............................................................................................. 7

Clinical Care Mortality Measures ....................................................................................... 8

Additional Measure Results ...................................................................................................... 9

RY 2019 VBP and QBR Measures, Performance Standards, and Domain Weighting ............ 9

QBR RY 2017 Final Scores and Reward and Penalty Preset Scale ....................................... 10

QBR RY 2018 Payment Adjustment Scaling Options ........................................................... 13

QBR RY 2019 Payment Adjustment Scaling ......................................................................... 14

Recommendations ................................................................................................................... 15

Final Recommendations for RY 2017—Approved at December 14, 2017 Commission

Meeting ................................................................................................................................... 16

Final Recommendation for RY 2018 ...................................................................................... 16

Final Recommendations for RY 2019 .................................................................................... 16

Appendix I. CMS FFY 2019 VBP Measures and Performance Periods ...................................... 17

Appendix III. RY 2017 QBR Performance Scores ....................................................................... 26

Appendix IV. QBR Measures Performance Trends ..................................................................... 28

Appendix V. Modeling of QBR Scaling Options ......................................................................... 29

Appendix VI. RY 2019 SCaling options ...................................................................................... 32

Appendix VII. Comment Letters .................................................................................................. 36

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LIST OF ABBREVIATIONS

ACA Affordable Care Act

CDC Centers for Disease Control & Prevention

CY Calendar year

CAUTI Catheter-associated urinary tract infection

CLABSI Central line-associated blood stream infections

CMS Centers for Medicare & Medicaid Services

DRG Diagnosis-related group

ED Emergency department

FY Fiscal year

FFY Federal fiscal year

HAI Healthcare Associated Infections

HCAHPS Hospital Consumer Assessment of Healthcare Providers and Systems

HSCRC Health Services Cost Review Commission

MRSA Methicillin-resistant staphylococcus aureus

NHSN National Health Safety Network

PQI Prevention quality indicators

QBR Quality-Based Reimbursement

RY Maryland HSCRC Rate Year

SIR Standardized infection ratio

SSI Surgical site infection

THA/TKA Total hip and knee arthroplasty

VBP Value-Based Purchasing

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INTRODUCTION

The Maryland Health Services Cost Review Commission’s (HSCRC’s or Commission’s)

quality-based measurement and payment initiatives are important policy tools for providing

strong incentives for hospitals to improve their quality performance over time. These initiatives

hold amounts of hospital revenue at risk directly related to specified performance benchmarks.

Maryland’s Quality-Based Reimbursement (QBR) program, in place since July 2009, employs

measures that are similar to those in the federal Medicare Value-Based Purchasing (VBP)

program, in place since October 2012. Because of its long-standing Medicare waiver for its all-

payer hospital rate-setting system and the implementation of the QBR program, the Centers for

Medicare & Medicaid Services (CMS) has given Maryland various special considerations,

including exemption from the federal Medicare VBP program.

Similar to the VBP program, the QBR program currently measures performance in clinical care,

patient safety, and experience of care domains. Despite higher weighting of financial incentives

on the experience of care domain (50%) which employs the national Hospital Consumer

Assessment of Healthcare Providers and Systems (HCAHPS) survey instrument, Maryland has

continued to perform below the national average over the last several years with little or no

improvement, including for the Rate Year (RY) 2017 completed performance year. The patient

safety domain was weighted second highest, and scores on average for this domain were next

lowest.

The purpose of this report is to make draft recommendations for the QBR program for fiscal year

(FY) 2019. The report also recommends updates to the approach for scaling rewards and

penalties retrospectively for RY 2017 and 2018 in order to assign rewards and penalties

consistent with hospital performance levels based on data now finalized for RY 2017.

BACKGROUND

Federal VBP Program

The Affordable Care Act (ACA) established the hospital VBP program,1 which requires CMS to

reward hospitals with incentive payments for the quality of care provided to Medicare

beneficiaries. The program assesses hospital performance on a set of measures in clinical care,

experience of care, safety, and efficiency (i.e., Medicare spending per beneficiary) domains. The

incentive payments are funded by reducing the base operating diagnosis-related group (DRG)

amounts that determine the Medicare payment for each hospital inpatient discharge.2 The ACA

1 For more information on the VBP program, see https://www.cms.gov/Medicare/Quality-Initiatives-Patient-

Assessment-Instruments/hospital-value-based-purchasing/index.html?redirect=/Hospital-Value-Based-Purchasing/ 2 42 USC § 1395ww(o)(7).

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set the reduction at 1 percent in federal fiscal year (FFY) 2013 and required that it increase

incrementally to 2 percent by FFY 2017.3

CMS will calculate FFY 2018 hospital final scores based on measures in the four equally

weighted domains (Appendix I). Although not final, CMS has proposed no changes to the

domain weights for the FFY 2019 program from those used for FFY 2018.

Maryland’s Current QBR Program (RY 2018 Performance Period)

For the RY 2018 performance period, Maryland’s QBR program like the federal VBP program,

assesses hospital performance on similar (or the same where feasible) measures, and holds 2% of

hospital revenue at risk based on performance. (See Appendix II for more detail, including the

timeline for base and performance years impacting RYs 2017-2019).

For RY 2018, the QBR domains are weighted differently than those of the VBP program as

illustrated in Figure 1 below. Main changes for this performance year are that the three-item Care

Transition Measure (CTM-3)4 dimension was added to the HCAHPS survey, and the PC01-

Early Elective Delivery measure was added to the Safety domain. The QBR program does not

include an efficiency domain within the QBR program; however, Maryland has implemented an

efficiency measure in relation to global budgets based on potentially avoidable utilization as

measured by the Agency for Healthcare Research and Quality Prevention Quality Indicators

(PQI) and readmissions. HSCRC staff will continue to work with key stakeholders to complete

development of an efficiency measure that incorporates population-based cost outcomes.

Figure 1. RY 2018 Measures and Domain Weights for CMS VBP5 and Maryland QBR Programs Maryland QBR Domains and Measures CMS VBP Domain Weights and

Measure Differences

Clinical Care 15% (1 measure: all cause inpatient mortality)

25% (3 measures: condition-specific mortality)

Experience

of Care 6

50% (9 measures: HCAHPS 8 dimensions + CTM 3 dimension)

25% Same

3 42 USC § 1395ww(o)(7)(C). 4 The Care-Transitions Measure is a composite of three questions related to patients’ and caregivers’ understanding

of necessary follow-up care post-discharge, detailed in questions 23-25 of the HCAHPS survey. For specifics on the

measure, including question language, please see:

https://mhdo.maine.gov/_pdf/CTM%20Microspecifications%20Manual_%20Nov%202013_final.pdf. 5 Details of CMS VBP measures may be found at: https://www.cms.gov/Medicare/Quality-Initiatives-Patient-Assessment-Instruments/HospitalQualityInits/Measure-Methodology.html 6 For the FFY 2018 VBP program, CMS changed the name of this domain from “Patient experience of care” to

“Patient and Caregiver-Centered Experience of Care/Care Coordination,” and for the 2019 VBP program, CMS

changed the name to “Patient and Community Engagement.” For purposes of this report, this domain will be

referred to as “experience of care” across the program years.

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Maryland QBR Domains and Measures CMS VBP Domain Weights and Measure Differences

Safety 35% (8 measures: CDC NHSN, all-payer PSI 90, PC01)

25% PSI 90 Medicare only; others same

Efficiency N/A 25% (Medicare spending per beneficiary measure)

ASSESSMENT

This section summarizes Maryland hospital performance including scores for RY 2017

(completed), and the most updated performance data on a select subset of measures currently in

use for the RY 2018 QBR or VBP program.

Performance Results on QBR and VBP Measures with Most Recent Data Available

For a subset of the measures across the domains used for the RY 2018 QBR and/or VBP

programs based on the most current data available from CMS, Figure 2 below provides

Maryland’s performance levels (Most Recent Rate), the change from the previous 12-month

period (Improvement from Previous Year), and the difference between the most recent national

VBP program performance and the most recent Maryland rates (Difference from National

Rates). The colors of the cells illustrate comparisons to national or previous year’s rates (see

color key). Figure 2 is designed to provide a concise snapshot on performance, but detailed data

for this Figure and additional comparison calculations are available in the series of tables found

in Appendix III. Additional highlights regarding Maryland’s performance on the measures by

domain are provided in the text just following Figure 2.

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Figure 2. Selected QBR/VBP Measures: Maryland Current Rates, Improvement from Previous Year, and Change in Difference from National Performance

Worse than the National Rate

Worse than MD Previous Year

MD-National gap worse than previous yr. gap

Color Codes Better than the National Rate

Improved from MD Previous Year

MD National gap better than Previous year gap

At National Average No Change No Change

Not Available

Domain (RY 2018) Measure Most Recent Rate

Improvement From Previous Year

Difference from National Rate

Experience of Care Domain (HCAHPS Percent “top box” or most positive response reported) Responsiveness 59% -1% -9%

Overall Rating 65% 0% -7%

Clean/Quiet 62% 0% -7%

Explained Medications 60% 0% -5%

Nurse Communication 76% 0% -4%

Pain Management 68% 1% -3%

Doctor Communication 79% 1% -3%

Discharge Info 86% 0% -1%

Three-Part Care Transitions Measure

48% 0% -4%

Clinical Care- Outcome Domain (Mortality Risk Adjusted Rates) 30-day AMI 14.06% -0.44% -0.14%

30-day Heart Failure 10.86% -0.04% -0.74%

30-day Pneumonia 10.64% -0.21% -0.86%

Safety Domain PC-01 Early Elective Delivery (% Deliveries)

5% 2% 2%

NHSN SIR: Standardized Infection Ratios

CLABSI 0.50 -5.12% -0.50%

CAUTI 0.86 -48.04% -0.14%

SSI – Colon 1.19 12.32% 0.19%

SSI - Abdominal Hysterectomy 0.92 -28.49% -0.08%

MRSA 1.20 -10.71% 0.20%

C.diff. 1.15 -0.26% 0.15%

Measurement time periods for HCAHPS and Safety measures: Q4-2013 to Q3-2014 and Q4-2014 to Q3-2015 (most recent rate); for 30-day mortality Q3-2010 to Q2-2013 and Q3-2011 to Q2-2014 (most recent rate). For measures reported as a percentage, the improvement and National gap are reported as percentage points; for SIRs, the improvement and National gap are reported are percent differences.

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Safety Measures

For the early elective induction or Cesarean section delivery measure (PC-01), staff notes that

Maryland performed better than the nation in the earlier time period but worse with a sharp

increase in the later period. By contrast, the nation improved from the earlier to the latter period.

For Centers for Disease Control National Health Safety Network (CDC NHSN) Standardized

Infection Ratio (SIR) measures compared to a national reference period (2008-2011) where the

SIR was established at the value of 1 (See Appendix III, Table 4 for detailed data), Maryland

statewide performance appears better on average than the national average for some of the

measures and worse for others in both the earlier and later time periods. Staff was unable to

compare changes in the national rate from a previous time period (indicated in Figure 2 above as

grey “not available”).

Experience of Care Measures

As noted previously, the experience of care domain is weighted most heavily in the Maryland

QBR Program (45 percent in RY2017 and 50 percent in RY 2018). Staff compared the most

recently available two years of data for experience of care with that of the nation (Figure 2; see

Appendix III, Table 1 for detailed data) and notes that compared to the nation, Maryland’s most

recent rates are worse for all nine of the experience of care HCAHPS dimensions (indicated in

Figure 2 as all red).

Maryland’s performance has not changed significantly overall, and the nation has had modest

improvement year over year from 2012 to 2015. In their letters exempting Maryland from the

VBP program in 2015 and 2016 (see Appendix II), CMS also notes Maryland’s ongoing

significant lag behind national medium performance levels and has been strongly in favor of

increasing weight for this domain in the QBR program. Additional analysis of experience of

care scores (an aggregate of eight dimensions available since 2012) comparing Maryland to the

nation shows that, as illustrated in Figure 3 below, Maryland’s performance declined in 2013 and

improved in 2014 to 2012 levels. Given that 2013 was the base period for RY 2017, some of the

improvement seen in the RY 2017 QBR scores is due to declines in performance in the base

year.

Staff notes that, consistent with the VBP program determination in the FY 2017 Outpatient

Prospective Payment System (PPS) Final Rule,7 the pain management question will be

prospectively removed from the QBR program for RY 2019.

7 FY 2017 OPPS Final Rule found at: https://www.cms.gov/Medicare/Medicare-Fee-for-Service-

Payment/HospitalOutpatientPPS/Hospital-Outpatient-Regulations-and-Notices-Items/CMS-1656-P.html,

last accessed December 1, 2016.

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Figure 3. Maryland vs. National Experience of care Aggregate Scores over Time

65

66

67

68

69

70

71

72

73

74

75

2012 2013 2014 Through Q3-2015

Maryland Nation

Clinical Care Mortality Measures

On the three CMS condition-specific mortality measures used in the VBP program—30 day

heart attack (AMI), heart failure (CHF), and pneumonia— Maryland performs better than the

nation with the gap narrowing over time (Figure 2 above; See Appendix III, Table 2 for detailed

data).

For the Maryland inpatient, all-payer, all-cause mortality measure used for the QBR program,

Maryland’s mortality rate declined from 2.87 percent to 2.15 percent between RY 2014 and

calendar year (CY) 2015 (see Appendix III, Table 3). Staff analyzed the trend in mortality rates

and concluded that the palliative care exclusion has contributed to the decline in the all-payer,

all-cause mortality rates. As illustrated in Figure 4 below, the percentage of deaths with palliative

codes increased from 42.92 percent to 61.09 percent over the last two years. To prevent further

impact of changes in palliative care trends on mortality measurement, the palliative care case

exclusion will be eliminated for RY 2019, and these cases will now be included in calculating

benchmarks, thresholds, and risk-adjusted hospital mortality rates.

Figure 4. Maryland Statewide Hospital Total and Palliative Care Cases, CY 2013-2015

Calendar Year

Total Discharges

Discharges w/ Palliative Care (PC)

Diagnosis (Dx)

Total Deaths

Total Deaths w/ PC Dx

% of Total Discharges

w/PC Dx

% of Deaths w/PC Dx

% Live Discharges

w/PC Dx

2013 664,849 14,038 13,105 5,625 2.11% 42.92% 1.29%

2014 642,139 17,464 12,670 6,802 2.72% 53.69% 1.69%

2015 624,202 19,447 12,114 7,401 3.12% 61.09% 1.97%

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Additional Measure Results

For the newly published Total Hip and Knee Arthroplasty THA/TKA complication measure,

performance results were only available for the latter time period. Hospital Compare8 reports

that all Maryland hospitals perform “as expected” on this measure (with the exception of one

hospital that is better and one that is worse than expected) compared with the nation.

In draft recommendations, staff supported adopting this measure for the RY 2019 QBR

program to be consistent with CMS VBP. Upon further analysis of data available from the

CMS website, staff now recommends delaying the adoption of this measure to RY 2020

pending resolution of data issues.

As part of the strategic plan to expand the performance measures, staff started to examine other

measures available in public reporting. Staff notes that Maryland performs poorly on the ED wait

time measures compared to the nation. In addition, Maryland and national performance is

declining over time. Therefore, staff strongly advocates “active” monitoring of the ED wait times

measures with consideration as to the feasibility of adding these measures to the QBR program

in future years (See Appendix III, Table 5).

RY 2019 VBP and QBR Measures, Performance Standards, and Domain Weighting

HSCRC staff are proposing to keep the QBR measures, domain weights, and inclusion criteria

for RY 2019 the same as they were for RY 2018, per Figure 5 below. Appendix I details the

measures by domain and the available published performance standards for each measure. It also

indicates the measures that will be included in the VBP and QBR Programs. Staff note that

currently there is no ICD-10 compatible risk-adjusted Patient Safety Indictor 90 (PSI-90)

measure but that this measure will be included in the future.

Figure 5. Final Measure Domain Weights for the CMS Hospital VBP Program and Proposed Domain Weights for the QBR Program, FY 2019

Clinical Care

Patient Experience of Care; Care

Coordination Safety Efficiency

QBR FY 2018 15% (1 measure - mortality) 50% (9 measures - HCAHPS + CTM) 35% (8 measures -

Infection, PSI, PC-01) PAU

Proposed QBR

FY 2019 15% (1 measure - mortality) 50% (8 measures - HCAHPS + CTM)

35% (7 measures -

Infection + PC-01) PAU

CMS VBP FY

2019

25% (4 measures - condition-

specific mortality;

THA/TKA)

25% (8 measures - HCAHPS + CTM) 25% (8 measures -

Infection, PSI, PC-01) 25%

8 See https://www.medicare.gov/hospitalcompare/search.html for more information.

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QBR RY 2017 Final Scores and Reward and Penalty Preset Scale

Similar to other quality-based programs, the Commission voted to modify fundamentally the

QBR program methodology for calculating rewards and penalties for RY 2017, such that the

level of rewards or penalties is determined based on performance points achieved relative to a

preset scale, rather than a relative ranking and scaling of the hospitals determined after the

performance period. This transition coincided with major changes in the measures used for the

QBR program, which entailed removing the process measures (which had higher scores),

increasing the weight of experience of care (which had lower scores), and tying the benchmarks

to the national distribution. At the time, staff did not have sufficient data to model the

implications of these changes on the performance points thoroughly and, therefore, set the

payment adjustment scale based on the base year attainment-only performance results relying on

input from the Performance Measurement Workgroup.

Hospital pay-for-performance programs implemented nationally and in Maryland generally score

hospitals on both attainment (level of rates compared to benchmarks) and on improvement (rate

of change from the baseline). Hospitals may earn two scores on the measure specified within

each domain—one for attainment (0-10) and one for improvement (0-9). The final score awarded

to a hospital for each measure is the higher of these two scores. For experience of care measures,

there are also consistency points. All measure scores, with exception of the HSCRC-derived

measures using Maryland all-payer case mix data (e.g., PSI 90, all-cause inpatient mortality),

include assignment of points between 0 and 10 based on the national average rate for 0 points

and the top 25 percent national performance for 10 points. Details regarding the scoring

calculations are found in Appendix II.

Figure 5 below provides descriptive statistics on the final statewide total QBR scores and scores

by each domain for RY 2017. These aggregate level domain scores reflects the proportion of

total available points received by the hospital. A 0 score represents none of the measures in that

domain were better than the national average or did not improve. A score of 1 represents all

measures are at or better than the top 25 percent performance. Experience of care is the most

heavily weighted domain, and Maryland scores are lowest for this domain, with an average score

of 0.24 and maximum score of 0.54. The domain with the next lowest distribution of scores is

safety, with an average score of 0.40; this domain is also weighted second highest in calculating

hospitals’ total QBR scores. Appendix IV presents RY 2017 final QBR score results by hospital

and domain.

Figure 5. RY 2017 Final QBR Scores Distribution Overall and by Domain

Domains Experience

of Care

Clinical Care- (Process Sub-domain retired after RY 2017)

Clinical Care- (Outcome Sub-

domain) Safety

Total QBR

Score

Measure Description HCAHPS

AMI 7a-Fibrinolytic Therapy

IMM 2- Influenza Immunization

Inpatient All DRG Mortality

CDC NHSN Infection (3 measures), PSI 90

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RY 2017 Weights 45% 5% 15% 35% 100%

Minimum Score 0.03 0.00 0.00 0.00 0.07

25th percentile 0.16 0.40 0.33 0.25 0.31

Median 0.23 0.60 0.60 0.39 0.38

Average 0.24 0.56 0.60 0.40 0.37

75th Percentile 0.30 0.80 0.88 0.54 0.43

Maximum Score 0.54 1.00 1.00 1.00 0.72

Coefficient of Variation 46% 59% 48% 54% 30%

While the figure 5 provides information for the FY 2017 Final QBR scores, Figure 6 below

shows the difference between the base period attainment-only scores for RYs 2016 and 2017

versus the final scores for each period, illustrating a significant increase in the final scores when

improvement is taken into account. Absent data, staff was unable to model the final scale for RY

2017 and agreed to set the points for the attainment-only scale given the major changes in the

program described above.

Figure 6. QBR RY 2016-2017 Attainment-Only and Final Scores (Reflecting the better of Attainment or Improvement)

Staff calculated hospital RY 2017 QBR scores and analyzed the scores relative to the QBR

preset scale determined last year and notes that almost all hospitals receive a reward for RY 2017

despite relatively poor performance (Appendix V). With the recommendation to make

retrospective adjustments to the readmission policy, staff had noted the issue with the QBR

scaling at the June 2016 Commission meeting and has been working since then to understand the

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implications. Expecting changes to the results, July RY 2017 rate orders and global budgets were

sent without QBR program adjustments.

Based on the analysis comparing attainment and improvement points, staff asserts that the RY

2017 preset scale was too low, because it was developed using base period data to calculate

attainment-only scores and, again, did not account for improvement trends. The intention to use a

preset scale was to improve predictability of the payment adjustments, not to lower the scale as

Maryland has been progressively “raising the bar” for performance. Staff is proposing the

following for RY 2017 scaling adjustment to correct the issue of the current preset scale being

too low:

Revise preset scale to use final RY 2017 QBR scores. This would result in a relative

ranking within the State that penalizes hospitals with QBR scores below the statewide

average and reward hospitals with scores above the statewide average (i.e., RY 2017

State average score is 0.37). Staff has provided modeling of the RY 2017 scores using

the final scores for FY 2017 in Appendix V.

HSCRC has received input from stakeholders regarding the draft recommendation updating the

QBR program presented in the October Commission meeting. As mentioned earlier, HSCRC

has also received VBP exemption approval letters from CMS directly addressing the experience

of care domain performance lag in Maryland (Appendix II). Highlights of the issues raised

during the meeting and in the letters submitted to the Commission by CMS, the Maryland

Hospital Association (MHA) and Consumer Health First (CHF), along with staff responses, is

provided below, and the MHA and CHF comment letters are provided in Appendix VI.

Consistency with the CMS VBP approval letters (CMS)- Staff asserts that Maryland has

committed to adjusting incentives to support improvement in experience of care as part of

the conditions for seeking the Maryland exemptions from year to year from the VBP

program. In their responses, CMS has voiced strong support for increasing the weight of

the experience of care domain to improve Maryland’s poor performance. Staff asserts

that using a scale that rewards poor performance is not consistent with Maryland’s

commitments to, and recommendations from, CMS.

Need for predictability (MHA, hospital stakeholders)- Staff supports the principle of

predictability and asserts this must be balanced with the principle of fairness. Staff, for

example, made retrospective changes to the Readmission policy in June 2016 to reduce

penalties for hospitals with low readmission rates and low improvement. Staff also

voiced the concern regarding the low bar for the QBR program scaling in the same June

2016 meeting.

Approach must maintain trust between stakeholders and Commission (MHA, hospitals,

CHF)- Staff asserts that justified corrections, just as they have been made historically,

will continue to strengthen trust, and providing rewards not aligned with performance has

potential to erode public trust.

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QBR must support patient-centered care and the goals emphasized by the All-Payer

Model (CMS, CHF)- Staff is in strong agreement that improved performance on

experience of care is of high importance and priority as part of Maryland’s patient

centered care model as it strives to achieve better care, better outcomes, and lower costs.

No error in policy was made in determining RY 2017 scaling approach (MHA,

hospitals)- The distribution of the scores used to set the payment scale (Figure 6 above)

using base year attainment only scores was done with the assumptions that changes in the

measures and benchmarks would precipitate lower scores for RY 2017. Preliminary

performance score calculations in May 2016 showed a $30M net positive impact despite

low performance scores. Staff again believes there was an error and supports a technical

correction to the point intervals used for scaling.

Burdensome to make mid-year GBR adjustment (MHA, hospitals)- Although not

preferable, if the retroactive scaling adjustment is approved for RY 2017, MHA will

support it without a “retroactive budget change” in the current fiscal year. Staff proposes

to limit negative revenue adjustments during the current RY with partial penalties up to

the amount indicated in the preset scale in the January RY 2017 rate adjustments, and the

remaining penalties July RY 2018 rate adjustment. Staff supports hospitals receiving their

full rewards under the revised scaling for RY 2017 in the January rate update. Figure 7

below shows the partial rate adjustment implementation scenarios

Figure 7. Examples of Implementation of Revenue Adjustments for RY2017

Original Preset Scale

Revised Revenue

Adjustment

January Adjustment

July Adjustment

Hospital A -100,000 -120,000 -100,000 -20,000

Hospital B 10,000 -30,000 0 -30,000

Hospital C 100,000 60,000 60,000 0

QBR RY 2018 Payment Adjustment Scaling Options

For RY 2018, a retrospective change to the preset payment scale is proposed, as the

payment scale was set with the same points as original RY 2017 and will therefore be

similarly incorrect. Staff is recommending to recalibrate the scaling in the same way that

was approved for RY 2017, whereby final scores will be used to create a scale that penalizes

those hospitals with below average performance. It is anticipated that the RY 2018

payment adjustments may not be implemented until January 2018 due to data delays.

However, staff is working with CMS to determine if the state can receive the Hospital

Compare data earlier to calculate QBR scores.

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QBR RY 2019 Payment Adjustment Scaling

While staff agrees that there are limited options for RY 2018 adjustments since the

performance period is completed, RY 2019 scaling approach can be modified to ensure the

payment amounts are more directly linked with the states performance against national

trends. Therefore, for RY 2019, staff is proposing a prospective scaling approach that uses

the national full score range with adjustments to assess Maryland hospital performance.

Based on stakeholder input, including a comment letter from the Maryland Hospital

Association (MHA) (Appendix VII), the hospital industry prefers using a prospective scale,

over using a scale based on final scores. However, staff believes that continuing to use the

statewide distribution of scores to set the payment adjustment scale does not incentivize all

Maryland hospitals to improve and achieve performance on par with the nation.

With the exception of the HSCRC-derived measures, which utilize Maryland all-payer case

mix data (e.g., all-cause inpatient mortality), the thresholds and benchmarks for the QBR

scoring methodology are based on the national average (threshold) and the top

performance (benchmark) values for all measures. A score of 0 means that performance on

all measures are below the national average or not improved, while a score of 1 mean all

measures are at or better than top 5 percent best performing rates. Although hospital

scores reflect performance relative to the national thresholds and benchmarks, the use of a

statewide distribution to set the scaling for financial incentive payment adjustments creates

a disconnect between Maryland and national performance, resulting in rewards for scores

at or above 37% and the maximum reward to scores of 57%. The problem resulting from

using Maryland scaling was evident in the initial results for RY2017, which provided

significant reward payments despite the state’s unfavorable collective performance.

Adjusting the scale to reflect the full distribution of scores (0% to 100%) ensures that QBR

revenue adjustments are linked with Maryland hospital performance relative to the nation.

As Maryland raises the bar that must be cleared to obtain rewards with this approach, the

potential rewards should be commensurately increased from 1 percent to 2 percent. The

full scale approach allows the HSCRC to set the scaling prospectively, meaning that

hospitals will not be relatively ranked after the performance period. Most importantly, the

use of the full score scale ensures that hospitals that perform better than the national

average will be rewarded, and hospitals that perform worse than the national average will

be penalized.

The staff modeled the following options for the RY 2019 scaling adjustments using the final

RY 2017 hospital scores (see Figure 8 for statewide adjustments and Appendix Y for

Hospitals specific results):

Prospective Scale set on RY2017 Final Scores Range: 7-57% with 37%

reward/penalty cutoff

Full Score Range: 0-100% with 50% reward/penalty cutoff

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Adjusted Full Score Range Option 1: 0-80% (max realistic score) with 40%

reward/penalty cutoff

Adjusted Full Score Range Option 2: 0-80% (max realistic score) with 45%

reward/penalty cutoff

Figure 8. RY 2019 Scaling Options and Statewide Revenue Adjustments

The MHA comment letter models an additional option where the prospective scale is based

on RY 2017 scores (range 7% - 57%) but with a revenue neutral zone between 34% and

38%. The staff does not support a revenue neutral zone given state performance compared

to the nation and the need for all hospitals to be incentivized to improve.

Staff recommends Option 2, an adjusted full score distribution scale that ranges from 0 to

80% where hospitals scoring greater than 45% are rewarded. The maximum score for the

full 2% reward was set at 80% because this represents a realistic max score. The staff

propose the cut off point for penalties/rewards be 45%. The staff note that while the

National average VBP score ranges from 36% to 41% according to the MHA comment

letter, these VBP scores have different measures, domains, and weights. An analysis of

FFY 2017 VBP scores indicates that the national average VBP score would be

approximately 5% higher (36% vs 41%) without the efficiency domain and with RY 2017

QBR weights applied.

Recommendations

Staff notes the State’s improvement trends in the Maryland inpatient, all-cause, all-payer

mortality rate used for the QBR program as well as the CMS condition-specific mortality

measures used for the VBP program but cautions these observations should be tempered with the

knowledge that the previous palliative care exemption will not be applied going forward. Staff

also recognizes the gap that remains between Maryland and national performance on the

experience of care measures in particular, the domain that constitutes 45 percent for RY 2017

and 50 percent for RY 2018 of the hospitals’ QBR total scores. In this section of the report,

staff presents previously approved final recommendations for RY 2017 and final

recommendations for RYs 2018 and 2019.

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Final Recommendations for RY 2017—Approved at December 14, 2017 Commission Meeting

Based on the analysis and observations presented above, staff recommends the following

retrospective adjustments to the RY 2017 QBR program:

Adjust retrospectively the RY 2017 QBR preset scale for determining rewards and penalties

such that the scale accounts for both attainment and improvement trends.

Use a relative scale to linearly distribute rewards and penalties based on the final QBR

scores, without revenue neutrality adjustment.

Adjust rates in the updated rate orders to reflect the proposed updated QBR scaling approach.

Limit negative revenue adjustments during the current RY by partially implementing

penalties (up to the amount indicated in preset scale) in the January RY 2017 rate

adjustments, and implementing the remaining penalties in the July RY 2018 rate adjustments.

Final Recommendation for RY 2018

Staff recommends the following for RY 2018:

Calculate the scaling points based on RY 2018 performance periods and provide

rewards to hospitals that are above the average score, with a maximum penalty of 2

percent and maximum reward of 1 percent of inpatient revenue distributed linearly in

proportion to calculated scores.

Final Recommendations for RY 2019

Staff recommends the following for RY 2019:

Maintain RY 2018 domain weights: 50 percent for Patient Experience/Care

Transition, 35 percent for Safety, and 15 percent for Clinical Care.

Move to a modified full score distribution ranging from 0-80%, and linearly scale

penalties and rewards at 45% cut point.

Maintain 2% maximum penalty and increase the maximum reward to 2 percent

as the achieving rewards will be based on full score distribution.

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APPENDIX I. CMS FFY 2019 VBP MEASURES AND PERFORMANCE PERIODS

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Appendix II. HSCRC QBR Program Details: Domain Weights, Revenue at Risk, Points

Calculation, Measurement Timeline and Exemption from CMS VBP Program

Domain Weights and Revenue at Risk

As illustrated in the body of the report, for the RY 2018 QBR program, the HSCRC will weight

the clinical care domain at 15 percent of the final score, the safety domain at 35 percent, and the

experience of care domain at 50 percent.

The HSCRC sets aside a percentage of hospital inpatient revenue to be held “at risk” based on

each hospital’s QBR program performance. Hospital performance scores are translated into

rewards and penalties in a process that is referred to as scaling.9 Rewards (referred to as positive

scaled amounts) or penalties (referred to as negative scaled amounts) are then applied to each

hospital’s update factor for the rate year. The rewards or penalties are applied on a one-time

basis and are not considered permanent revenue. The Commission previously approved scaling a

maximum reward of one percent and a penalty of two percent of total approved base inpatient

revenue across all hospitals for RY 2018.

HSCRC staff has worked with stakeholders over the last several years to align the QBR

measures, thresholds, benchmark values, time lag periods, and amount of revenue at risk with

those used by the CMS VBP program where feasible,10 allowing the HSCRC to use data

submitted directly to CMS. As alluded to in the body of the report, Maryland implemented

efficiency measure in relation to global budgets based on potentially avoidable utilization outside

of QBR program. The HSCRC does apply a potentially avoidable utilization savings adjustment

to hospital rates based on costs related to potentially avoidable admissions, as measured by the

Agency for Healthcare Research and Quality Prevention Quality Indicators (PQIs) and avoidable

readmissions. HSCRC staff will continue to work with key stakeholders to complete

development of an efficiency measure that incorporates population-based cost outcomes.

QBR Score Calculation

Attainment Points: During the performance period, attainment points are awarded by comparing

an individual hospital’s rates with the threshold, which is the median, or 50th percentile of all

hospitals’ performance during the baseline period, and the benchmark, which is the mean of the

top decile, or approximately the 95th percentile during the baseline period. With the exception of

the mortality and AHRQ PSI 90 measure applied to all payers, the benchmarks and thresholds

are the same as those used by CMS for the VBP program measures. For each measure, a hospital

that has a rate at or above benchmark receives 10 attainment points. A hospital that has a rate

9 Scaling refers to the differential allocation of a pre-determined portion of base-regulated hospital inpatient revenue

based on assessment of the quality of hospital performance. 10 HSCRC has used data for some of the QBR measures (e.g., CMS core measures, CDC NHSN CLABSI, CAUTI)

submitted to the Maryland Health Care Commission (MHCC) and applied state-based benchmarks and thresholds

for these measures to calculate hospitals’ QBR scores up to the period used for RY 2017.

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below the attainment threshold receives 0 attainment points. A hospital that has a rate at or above

the attainment threshold and below the benchmark receives 1-9 attainment points

Improvement Points: The improvement points are awarded by comparing a hospital’s rates

during the performance period to the hospital’s rates from the baseline period. A hospital that has

a rate at or above benchmark receives 9 improvement points. A hospital that has a rate at or

below baseline period rate receives 0 improvement points. A hospital that has a rate between the

baseline period rate and the benchmark receives 0-9 improvement points

Consistency Points: The consistency points relate only to the experience of care domain. The

purpose of these points is to reward hospitals that have scores above the national 50th percentile

in all of the eight HCAHPS dimensions. If they do, they receive the full 20 points. If they do not,

the dimension for which the hospital received the lowest score is compared to the range between

the national 0 percentile (floor) and the 50th percentile (threshold) and is awarded points

proportionately.

Domain Scores: Composite scores are then calculated for each domain by adding up all of the

measure scores in a given domain divided by the total possible points x 100. The better of

attainment and improvement for experience of care scores is also added together to arrive at the

experience of care base points. Base points and the consistency score are added together to

determine the experience of care domain score.

Total Performance Score: The total Performance Score is computed by multiplying the domain

scores by their specified weights, then adding those totals and dividing them by the highest total

possible score. The Total Performance Score is then translated into a reward/ penalty that is

applied to hospital revenue.

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QBR Base and Performance Periods Impacting RYs 2017-2019

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Maryland VBP Exemption

Under Maryland’s previous Medicare waiver, VBP exemptions were requested and granted for

FYs 2013 through 2015. The CMS FY 2015 Inpatient Prospective Payment rule stated that,

although exemption from the hospital VBP program no longer applies, Maryland hospitals will

not be participating in the VBP program because §1886(o) of the ACA11 and its implementing

regulations are waived under Maryland’s New All-Payer Model, subject to the terms of the

Model agreement as excerpted below:

“4. Medicare Payment Waivers. Under the Model, CMS will waive the requirements of

the following provisions of the Act as applied solely to Regulated Maryland Hospitals:

e. Medicare Hospital Value Based Purchasing. Section 1886(o) of the Act, and

implementing regulations at 42 CFR 412.160 - 412.167, only insofar as the State

submits an annual report to the Secretary that provides satisfactory evidence that a

similar program in the State for Regulated Maryland Hospitals achieves or

surpasses the measured results in terms of patient health outcomes and cost

savings established under 1886(o) of the Act….”

Under the New All-Payer Model, HSCRC staff submitted exemption requests for FYs 2016 and

2017 and received approvals from CMS on August 27, 2015, and April 22, 2016, included

below.

11 Codified at 42 USC § 1395ww(o).

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APPENDIX III. RY 2017 QBR PERFORMANCE SCORES

Table 1. HCAHPS Analysis

Measure Maryland

(Q413-Q314)

National (Q413-Q314)

Percent difference

MD-US

Maryland (Q414-Q315)

Change from Base

National (Q414-Q315)

Change from Base

Percent difference

MD-US

Responsiveness 60 68 -8 59 -1 68 0 -9

Overall Rating 65 71 -6 65 0 72 1 -7

Clean/Quiet 61.5 68 -7 61.5 0 68 0 -7

Explained Medications

60 65 -5 60 0 65 0 -5

Nurse Communication

76 79 -3 76 0 80 1 -4

Pain Management

67 71 -4 68 1 71 0 -3

Doctor Communication

78 82 -4 79 1 82 0 -3

Discharge Info 86 86 0 86 0 87 1 -1

8 Item Aggregate TOTAL

69.1875 73.75 -4.56 69.31 0.13 74.1 0.38 -4.81

Three-Part Care Transitions Measure

48 52 -4 48 0 52 0 -4

Table 2. CMS Condition-Specific Mortality Measures

Mortality Measures

Maryland (Q310-Q213)

National (Q310-Q213)

Percent difference

MD-US

Maryland (Q311-Q214)

Change from Base

National (Q311-Q214)

Change from Base

Percent difference

MD-US

30-day AMI 14.50% 14.90% -0.40% 14.06% -0.44% 14.20% -0.70% -0.14%

30-day Heart Failure

10.90% 11.90% -1.00% 10.86% -0.04% 11.60% -0.30% -0.74%

30-day Pneumonia

10.85% 11.90% -1.05% 10.64% -0.21% 11.50% -0.40% -0.86%

Table 3. Maryland All-Payer Inpatient Mortality Measure

Mortality Measures Maryland RY2014

Maryland CY2015

Change from Base

MD Mortality Measure 2.87% 2.15% -0.72%

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Table 4. Safety Measures

Safety Measures

Maryland (Q413-Q314)

National (Q413-Q314)

Percent difference

MD-US

Maryland (Q414-Q315)

Change from Base

National (Q414-Q315)

Change from Base

Percent difference

MD-US

Change from Base

Period

CLABSI 0.527 1 -47.30% 0.5 NOTE: Change

from base is not

calculated because

MD SIR is in

relation to

national SIR of 1

1 NOTE: Change

from base is not

calculated because

MD SIR is in

relation to

national SIR of 1

-50.00% -0.027

CAUTI 1.659 1 65.90% 0.862 1 -13.80% -0.797

SSI - Colon 1.055 1 5.50% 1.185 1 18.50% 0.13

SSI - Abdominal Hysterectomy

1.281 1 28.10% 0.916 1 -8.40% -0.365

MRSA 1.344 1 34.40% 1.2 1 20.00% -0.144

C.diff. 1.15 1 15.00% 1.147 1 14.70% -0.003

PC-01 Elective Delivery

3 4 -1 5

3

2

Table 5. Measures for Monitoring Other

Measures - Monitoring

Status

Maryland (Q413-Q314)

National (Q413-Q314)

Percent difference

MD-US

Maryland (Q414-Q315)

Change from Base

National (Q414-Q315)

Change from Base

Percent difference

MD-US

IMM-2 Influenza Immunization

96 93 3.23% 97 1 94 1 3.19%

ED1b - Arrive to admit

353 273 29.30% 364 11 280 7 30.00%

ED2b - Admit decision to admit

132 96 37.50% 139 7 99 3 40.40%

OP20 - Door to diagnostic eval

46 24 91.67% 48 2 23 -1 108.70%

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APPENDIX IV. QBR MEASURES PERFORMANCE TRENDS

Hospital

IDHospital Name

HCAHPS

Score

Clinical/

Process

Score

Clinical/

Mortality

Score

Safety

ScoreQBR Score

210001 MERITUS 0.17 1.00 0.30 0.53 0.36

210002 UNIVERSITY OF MARYLAND 0.25 0.80 0.80 0.33 0.39

210003 PRINCE GEORGE 0.03 0.70 0.10 0.50 0.24

210004 HOLY CROSS 0.09 0.80 0.30 0.30 0.23

210005 FREDERICK MEMORIAL 0.22 0.60 1.00 0.53 0.46

210006 HARFORD 0.30 0.80 0.40 0.33 0.35

210008 MERCY 0.49 0.00 0.20 0.45 0.41

210009 JOHNS HOPKINS 0.33 0.40 0.90 0.15 0.36

210010 DORCHESTER 0.24 0.80 0.90 . 0.44

210011 ST. AGNES 0.16 0.20 0.80 0.33 0.32

210012 SINAI 0.27 0.80 0.40 0.25 0.31

210013 BON SECOURS 0.15 0.00 0.00 0.00 0.07

210015 FRANKLIN SQUARE 0.13 0.40 0.60 0.40 0.31

210016 WASHINGTON ADVENTIST 0.23 0.80 0.70 0.00 0.25

210017 GARRETT COUNTY 0.27 0.60 0.70 . 0.40

210018 MONTGOMERY GENERAL 0.22 0.40 0.60 0.68 0.45

210019 PENINSULA REGIONAL 0.32 0.00 0.40 0.50 0.38

210022 SUBURBAN 0.37 0.00 0.50 0.65 0.47

210023 ANNE ARUNDEL 0.18 0.60 0.70 0.28 0.31

210024 UNION MEMORIAL 0.34 0.40 0.30 0.25 0.31

210027 WESTERN MARYLAND 0.32 1.00 0.80 0.08 0.34

210028 ST. MARY 0.51 1.00 0.60 1.00 0.72

210029 HOPKINS BAYVIEW MED CTR 0.25 0.80 0.50 0.43 0.38

210030 CHESTERTOWN 0.10 1.00 1.00 . 0.38

210032 UNION OF CECIL COUNT 0.29 0.40 0.40 0.47 0.37

210033 CARROLL COUNTY 0.21 0.80 0.60 0.58 0.43

210034 HARBOR 0.19 0.40 0.70 0.68 0.45

210035 CHARLES REGIONAL 0.22 0.00 0.50 0.70 0.42

210037 EASTON 0.24 0.80 0.50 0.25 0.31

210038 UMMC MIDTOWN 0.09 0.40 0.30 0.27 0.20

210039 CALVERT 0.25 0.40 1.00 . 0.43

210040 NORTHWEST 0.19 1.00 0.30 0.10 0.22

210043 BWMC 0.16 0.60 0.90 0.28 0.33

210044 G.B.M.C. 0.54 0.60 1.00 0.20 0.49

210048 HOWARD COUNTY 0.38 1.00 0.80 0.65 0.57

210049 UPPER CHESAPEAKE 0.12 0.80 1.00 0.38 0.38

210051 DOCTORS COMMUNITY 0.10 0.60 0.30 0.65 0.35

210055 LAUREL REGIONAL 0.16 0.00 0.20 . 0.16

210056 GOOD SAMARITAN 0.33 0.60 0.60 0.63 0.49

210057 SHADY GROVE 0.28 0.60 1.00 0.23 0.38

210060 FT. WASHINGTON 0.23 0.80 0.80 . 0.41

210061 ATLANTIC GENERAL 0.28 0.10 0.90 0.35 0.39

210062 SOUTHERN MARYLAND 0.17 0.00 0.10 0.45 0.25

210063 UM ST. JOSEPH 0.21 1.00 1.00 0.40 0.43

QBR Performance Scores

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APPENDIX V. MODELING OF QBR SCALING OPTIONS

(Table not updated from December recommendation).

HOSPITAL NAME

RY 16 Permanent Inpatient Revenue

RY 2017 QBR

FINAL POINTS

1.RY 2017 Current Scale

2a.Proposed RY 2017 Scale

2b. January 2017 and July 2017 Implementations

3. RY 2018

4. National Scale (Draft Recommendation for RY 2019)

% Impact $ Impact

% Impact $ Impact

Jan 2017 Rate Order

Adjustment effective July

2016

Rate Order FY18 GBR

(July 2017)

Use Relative Scale or National

% Impact $ Impact

Bon Secours Hospital $74,789,724 0.07 -2.00% -$1,495,794 -2.00% -$1,495,794 -$1,495,794 $0 TBD -1.65% -$1,234,030

Laurel Regional Hospital $60,431,106 0.16 -1.11% -$670,785 -1.40% -$846,035 -$670,785 -$175,250 TBD -1.20% -$725,173

Maryland General Hospital

$126,399,313 0.20 -0.67% -$846,875 -1.13% -$1,432,526 -$846,875 -$585,650 TBD -1.05% -$1,327,193

Northwest Hospital Center

$114,214,371 0.22 -0.44% -$502,543 -1.00% -$1,142,144 -$502,543 -$639,600 TBD -0.95% -$1,085,037

Holy Cross Hospital $316,970,825 0.23 -0.33% -$1,046,004 -0.93% -$2,958,394 -$1,046,004 -$1,912,391 TBD -0.90% -$2,852,737

Prince Georges Hospital Center

$220,306,426 0.24 -0.22% -$484,674 -0.87% -$1,909,322 -$484,674 -$1,424,648 TBD -0.85% -$1,872,605

Southern Maryland Hospital Center

$156,564,761 0.25 -0.11% -$172,221 -0.80% -$1,252,518 -$172,221 -$1,080,297 TBD -0.80% -$1,252,518

Washington Adventist Hospital

$155,199,154 0.25 -0.11% -$170,719 -0.80% -$1,241,593 -$170,719 -$1,070,874 TBD -0.80% -$1,241,593

Sinai Hospital $415,350,729 0.31 0.18% $747,631 -0.40% -$1,661,403 $0 -$1,661,403 TBD -0.50% -$2,076,754

Memorial Hospital at Easton

$101,975,577 0.31 0.18% $183,556 -0.40% -$407,902 $0 -$407,902 TBD -0.50% -$509,878

Anne Arundel Medical Center

$291,882,683 0.31 0.18% $525,389 -0.40% -$1,167,531 $0 -$1,167,531 TBD -0.50% -$1,459,413

Franklin Square Hospital Center

$274,203,013 0.31 0.18% $493,565 -0.40% -$1,096,812 $0 -$1,096,812 TBD -0.50% -$1,371,015

Union Memorial Hospital $238,195,335 0.31 0.18% $428,752 -0.40% -$952,781 $0 -$952,781 TBD -0.50% -$1,190,977

St. Agnes Hospital $232,266,274 0.32 0.21% $487,759 -0.33% -$774,221 $0 -$774,221 TBD -0.45% -$1,045,198

Baltimore Washington Medical Center

$237,934,932 0.33 0.25% $594,837 -0.27% -$634,493 $0 -$634,493 TBD -0.40% -$951,740

Western MD Regional Medical Center

$167,618,972 0.34 0.29% $486,095 -0.20% -$335,238 $0 -$335,238 TBD -0.35% -$586,666

Harford Memorial Hospital

$45,713,956 0.35 0.32% $146,285 -0.13% -$60,952 $0 -$60,952 TBD -0.30% -$137,142

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HOSPITAL NAME

RY 16 Permanent Inpatient Revenue

RY 2017 QBR

FINAL POINTS

1.RY 2017 Current Scale

2a.Proposed RY 2017 Scale

2b. January 2017 and July 2017 Implementations

3. RY 2018

4. National Scale (Draft Recommendation for RY 2019)

% Impact $ Impact

% Impact $ Impact

Jan 2017 Rate Order

Adjustment effective July

2016

Rate Order FY18 GBR

(July 2017)

Use Relative Scale or National

% Impact $ Impact

Doctors Community Hospital

$132,614,778 0.35 0.32% $424,367 -0.13% -$176,820 $0 -$176,820 TBD -0.30% -$397,844

Meritus Hospital $190,659,648 0.36 0.36% $686,375 -0.07% -$127,106 $0 -$127,106 TBD -0.25% -$476,649

Johns Hopkins Hospital $1,244,297,900 0.36 0.36% $4,479,472 -0.07% -$829,532 $0 -$829,532 TBD -0.25% -$3,110,745

Union of Cecil $69,389,876 0.37 0.39% $270,621 0.00% $0 $0 $0 TBD -0.20% -$138,780

Johns Hopkins Bayview Medical Center

$343,229,718 0.38 0.43% $1,475,888 0.05% $171,615 $171,615 $0 TBD -0.15% -$514,845

Shady Grove Adventist Hospital

$220,608,397 0.38 0.43% $948,616 0.05% $110,304 $110,304 $0 TBD -0.15% -$330,913

Peninsula Regional Medical Center

$242,318,199 0.38 0.43% $1,041,968 0.05% $121,159 $121,159 $0 TBD -0.15% -$363,477

Upper Chesapeake Medical Center

$135,939,076 0.38 0.43% $584,538 0.05% $67,970 $67,970 $0 TBD -0.15% -$203,909

Chester River Hospital Center

$21,575,174 0.38 0.43% $92,773 0.05% $10,788 $10,788 $0 TBD -0.15% -$32,363

University of Maryland Hospital

$906,034,034 0.39 0.46% $4,167,757 0.10% $906,034 $906,034 $0 TBD -0.10% -$906,034

Atlantic General Hospital $37,750,252 0.39 0.46% $173,651 0.10% $37,750 $37,750 $0 TBD -0.10% -$37,750

Garrett County Memorial Hospital

$19,149,148 0.40 0.50% $95,746 0.15% $28,724 $28,724 $0 TBD -0.05% -$9,575

Fort Washington Medical Center

$19,674,774 0.41 0.54% $106,244 0.20% $39,350 $39,350 $0 TBD 0.00% $0

Mercy Medical Center $214,208,592 0.41 0.54% $1,156,726 0.20% $428,417 $428,417 $0 TBD 0.00% $0

Civista Medical Center $67,052,911 0.42 0.57% $382,202 0.25% $167,632 $167,632 $0 TBD 0.05% $33,526

Carroll Hospital Center $136,267,434 0.43 0.61% $831,231 0.30% $408,802 $408,802 $0 TBD 0.10% $136,267

Calvert Memorial Hospital $62,336,014 0.43 0.61% $380,250 0.30% $187,008 $187,008 $0 TBD 0.10% $62,336

UM ST. JOSEPH $234,223,274 0.43 0.61% $1,428,762 0.30% $702,670 $702,670 $0 TBD 0.10% $234,223

Dorchester General Hospital

$26,999,062 0.44 0.64% $172,794 0.35% $94,497 $94,497 $0 TBD 0.15% $40,499

Montgomery General Hospital

$75,687,627 0.45 0.68% $514,676 0.40% $302,751 $302,751 $0 TBD 0.20% $151,375

Harbor Hospital Center $113,244,592 0.45 0.68% $770,063 0.40% $452,978 $452,978 $0 TBD 0.20% $226,489

Frederick Memorial $190,413,775 0.46 0.71% $1,351,938 0.45% $856,862 $856,862 $0 TBD 0.25% $476,034

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HOSPITAL NAME

RY 16 Permanent Inpatient Revenue

RY 2017 QBR

FINAL POINTS

1.RY 2017 Current Scale

2a.Proposed RY 2017 Scale

2b. January 2017 and July 2017 Implementations

3. RY 2018

4. National Scale (Draft Recommendation for RY 2019)

% Impact $ Impact

% Impact $ Impact

Jan 2017 Rate Order

Adjustment effective July

2016

Rate Order FY18 GBR

(July 2017)

Use Relative Scale or National

% Impact $ Impact

Hospital

Suburban Hospital $193,176,044 0.47 0.75% $1,448,820 0.50% $965,880 $965,880 $0 TBD 0.30% $579,528

Greater Baltimore Medical Center

$207,515,795 0.49 0.82% $1,701,630 0.60% $1,245,095 $1,245,095 $0 TBD 0.40% $830,063

Good Samaritan Hospital $160,795,606 0.49 0.82% $1,318,524 0.60% $964,774 $964,774 $0 TBD 0.40% $643,182

Howard County General Hospital

$165,683,744 0.57 1.00% $1,656,837 1.00% $1,656,837 $1,656,837 $0 TBD 0.85% $1,408,312

St. Mary's Hospital $69,169,248 0.72 1.00% $691,692 1.00% $691,692 $691,692 $0 TBD 1.60% $1,106,708

Statewide Total $8,730,031,841

$27,058,414

-$9,883,530 $5,229,972 -$15,113,502

-$21,514,008

Total Penalties -5,389,617

-20,503,119 -5,389,617 -15,113,502

-27,442,552

% Inpatient Revenue

-0.06%

-0.23% -0.06% -0.17%

-0.31%

Total Rewards 32,448,031

10,619,589 10,619,589 0

5,928,544

% Inpatient Revenue

0.37%

0.12% 0.12% 0.00%

0.07%

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APPENDIX VI. RY 2019 SCALING OPTIONS

HOSPITAL

NAME

FY 16

Permanent

Inpatient

Revenue

RY 2017

QBR

FINAL

POINTS

RY 2017 Scale Full Scale Range Option 1: Modified

Full Scale 0.40

Option 2: Modified Full Scale 0.45

HOSPID

%

Revenue

Impact

$ Revenue

Impact

%

Reven

ue

Impact

$ Revenue

Impact

%

Revenue

Impact

$ Revenue Impact

% Revenue Impact

$ Revenue Impact

A B C D I J P Q P Q P Q

210013

Bon Secours

Hospital $74,789,724

0.07 -2.00% -$1,495,794 -1.72% -$1,286,383 -1.65% -$1,234,030 -1.69% -$1,263,115

210055

Laurel Regional

Hospital $60,431,106

0.16 -1.40% -$846,035 -1.36% -$821,863 -1.20% -$725,173 -1.29% -$778,890

210038

Maryland

General

Hospital

$126,399,313

0.20 -1.13% -$1,432,526 -1.20% -$1,516,792 -1.00% -$1,263,993 -1.11% -$1,404,437

210040

Northwest

Hospital Center $114,214,371

0.22 -1.00% -$1,142,144 -1.12% -$1,279,201 -0.90% -$1,027,929 -1.02% -$1,167,525

210004

Holy Cross

Hospital $316,970,825

0.23 -0.93% -$2,958,394 -1.08% -$3,423,285 -0.85% -$2,694,252 -0.98% -$3,099,270

210003

Prince Georges

Hospital Center $220,306,426

0.24 -0.87% -$1,909,322 -1.04% -$2,291,187 -0.80% -$1,762,451 -0.93% -$2,056,193

210062

Southern

Maryland

Hospital Center

$156,564,761

0.25 -0.80% -$1,252,518 -1.00% -$1,565,648 -0.75% -$1,174,236 -0.89% -$1,391,687

210016

Washington

Adventist

Hospital

$155,199,154

0.25 -0.80% -$1,241,593 -1.00% -$1,551,992 -0.75% -$1,163,994 -0.89% -$1,379,548

210012 Sinai Hospital $415,350,729

0.31 -0.40% -$1,661,403 -0.76% -$3,156,666 -0.45% -$1,869,078 -0.62% -$2,584,405

210037

Memorial

Hospital at

Easton

$101,975,577

0.31 -0.40% -$407,902 -0.76% -$775,014 -0.45% -$458,890 -0.62% -$634,515

210023

Anne Arundel

Medical Center $291,882,683

0.31 -0.40% -$1,167,531 -0.76% -$2,218,308 -0.45% -$1,313,472 -0.62% -$1,816,159

210015

Franklin Square

Hospital Center $274,203,013

0.31 -0.40% -$1,096,812 -0.76% -$2,083,943 -0.45% -$1,233,914 -0.62% -$1,706,152

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33

HOSPITAL

NAME

FY 16

Permanent

Inpatient

Revenue

RY 2017

QBR

FINAL

POINTS

RY 2017 Scale Full Scale Range Option 1: Modified

Full Scale 0.40

Option 2: Modified Full Scale 0.45

HOSPID

%

Revenue

Impact

$ Revenue

Impact

%

Reven

ue

Impact

$ Revenue

Impact

%

Revenue

Impact

$ Revenue Impact

% Revenue Impact

$ Revenue Impact

A B C D I J P Q P Q P Q

210024

Union

Memorial

Hospital

$238,195,335

0.31 -0.40% -$952,781 -0.76% -$1,810,285 -0.45% -$1,071,879 -0.62% -$1,482,104

210011

St. Agnes

Hospital $232,266,274

0.32 -0.33% -$774,221 -0.72% -$1,672,317 -0.40% -$929,065 -0.58% -$1,341,983

210043

Baltimore

Washington

Medical Center

$237,934,932

0.33 -0.27% -$634,493 -0.68% -$1,617,958 -0.35% -$832,772 -0.53% -$1,268,986

210027

Western MD

Regional

Medical Center

$167,618,972

0.34 -0.20% -$335,238 -0.64% -$1,072,761 -0.30% -$502,857 -0.49% -$819,471

210006

Harford

Memorial

Hospital

$45,713,956

0.35 -0.13% -$60,952 -0.60% -$274,284 -0.25% -$114,285 -0.44% -$203,173

210051

Doctors

Community

Hospital

$132,614,778

0.35 -0.13% -$176,820 -0.60% -$795,689 -0.25% -$331,537 -0.44% -$589,399

210001

Meritus

Hospital $190,659,648

0.36 -0.07% -$127,106 -0.56% -$1,067,694 -0.20% -$381,319 -0.40% -$762,639

210009

Johns Hopkins

Hospital

$1,244,297,90

0

0.36 -0.07% -$829,532 -0.56% -$6,968,068 -0.20% -$2,488,596 -0.40% -$4,977,192

210032 Union of Cecil $69,389,876

0.37 0.00% $0 -0.52% -$360,827 -0.15% -$104,085 -0.36% -$246,720

210029

Johns Hopkins

Bayview

Medical Center

$343,229,718

0.38 0.05% $171,615 -0.48% -$1,647,503 -0.10% -$343,230 -0.31% -$1,067,826

210057

Shady Grove

Adventist

Hospital

$220,608,397

0.38 0.05% $110,304 -0.48% -$1,058,920 -0.10% -$220,608 -0.31% -$686,337

210019

Peninsula

Regional

Medical Center

$242,318,199

0.38 0.05% $121,159 -0.48% -$1,163,127 -0.10% -$242,318 -0.31% -$753,879

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34

HOSPITAL

NAME

FY 16

Permanent

Inpatient

Revenue

RY 2017

QBR

FINAL

POINTS

RY 2017 Scale Full Scale Range Option 1: Modified

Full Scale 0.40

Option 2: Modified Full Scale 0.45

HOSPID

%

Revenue

Impact

$ Revenue

Impact

%

Reven

ue

Impact

$ Revenue

Impact

%

Revenue

Impact

$ Revenue Impact

% Revenue Impact

$ Revenue Impact

A B C D I J P Q P Q P Q

210049

Upper

Chesapeake

Medical Center

$135,939,076

0.38 0.05% $67,970 -0.48% -$652,508 -0.10% -$135,939 -0.31% -$422,922

210030

Chester River

Hospital Center $21,575,174

0.38 0.05% $10,788 -0.48% -$103,561 -0.10% -$21,575 -0.31% -$67,123

210002

University of

Maryland

Hospital

$906,034,034

0.39 0.10% $906,034 -0.44% -$3,986,550 -0.05% -$453,017 -0.27% -$2,416,091

210061

Atlantic

General

Hospital

$37,750,252

0.39 0.10% $37,750 -0.44% -$166,101 -0.05% -$18,875 -0.27% -$100,667

210017

Garrett County

Memorial

Hospital

$19,149,148

0.40 0.15% $28,724 -0.40% -$76,597 0.00% $0 -0.22% -$42,554

210060

Fort

Washington

Medical Center

$19,674,774

0.41 0.20% $39,350 -0.36% -$70,829 0.05% $9,837 -0.18% -$34,977

210008

Mercy Medical

Center $214,208,592

0.41 0.20% $428,417 -0.36% -$771,151 0.05% $107,104 -0.18% -$380,815

210035

Civista Medical

Center $67,052,911

0.42 0.25% $167,632 -0.32% -$214,569 0.10% $67,053 -0.13% -$89,404

210033

Carroll Hospital

Center $136,267,434

0.43 0.30% $408,802 -0.28% -$381,549 0.15% $204,401 -0.09% -$121,127

210039

Calvert

Memorial

Hospital

$62,336,014

0.43 0.30% $187,008 -0.28% -$174,541 0.15% $93,504 -0.09% -$55,410

210063

UM ST.

JOSEPH $234,223,274

0.43 0.30% $702,670 -0.28% -$655,825 0.15% $351,335 -0.09% -$208,198

210010

Dorchester

General

Hospital

$26,999,062

0.44 0.35% $94,497 -0.24% -$64,798 0.20% $53,998 -0.04% -$12,000

210018

Montgomery

General $75,687,627

0.45 0.40% $302,751 -0.20% -$151,375 0.25% $189,219 0.00% $0

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35

HOSPITAL

NAME

FY 16

Permanent

Inpatient

Revenue

RY 2017

QBR

FINAL

POINTS

RY 2017 Scale Full Scale Range Option 1: Modified

Full Scale 0.40

Option 2: Modified Full Scale 0.45

HOSPID

%

Revenue

Impact

$ Revenue

Impact

%

Reven

ue

Impact

$ Revenue

Impact

%

Revenue

Impact

$ Revenue Impact

% Revenue Impact

$ Revenue Impact

A B C D I J P Q P Q P Q

Hospital

210034

Harbor Hospital

Center $113,244,592

0.45 0.40% $452,978 -0.20% -$226,489 0.25% $283,111 0.00% $0

210005

Frederick

Memorial

Hospital

$190,413,775

0.46 0.45% $856,862 -0.16% -$304,662 0.30% $571,241 0.06% $108,808

210022

Suburban

Hospital $193,176,044

0.47 0.50% $965,880 -0.12% -$231,811 0.35% $676,116 0.11% $220,773

210044

Greater

Baltimore

Medical Center

$207,515,795

0.49 0.60% $1,245,095 -0.04% -$83,006 0.45% $933,821 0.23% $474,322

210056

Good Samaritan

Hospital $160,795,606

0.49 0.60% $964,774 -0.04% -$64,318 0.45% $723,580 0.23% $367,533

210048

Howard County

General

Hospital

$165,683,744

0.57 1.00% $1,656,837 0.28% $463,914 0.85% $1,408,312 0.69% $1,136,117

210028

St. Mary's

Hospital $69,169,248

0.72 1.00% $691,692 0.88% $608,689 1.60% $1,106,708 1.54% $1,067,183

Statewide

Total

$8,730,031,84

1 -$9,883,530

-$48,787,350

-

$17,334,029 -$34,058,155

Total Penalties -20,503,119 -49,859,954 -24,113,371 -37,432,890

% Inpatient

Revenue -0.23%

-0.57%

-0.28%

-0.43%

Total rewards 10,619,589 1,072,604 6,779,342 3,374,735

% Inpatient revenue 0.12% 0.01% 0.08% 0.04%

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36

APPENDIX VII. COMMENT LETTER

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January 3, 2017

Dianne Feeney

Associate Director, Quality Initiatives

Health Services Cost Review Commission

4160 Patterson Avenue

Baltimore, Maryland 21215

Dear Ms. Feeney:

On behalf of the 64 hospital and health system members of the Maryland Hospital Association

(MHA), we appreciate the opportunity to comment on the December Draft Recommendations

for Updating the Quality Based Reimbursement Program for Rate Year 2018 and 2019.

Fiscal Year 2017 Background

With the fiscal 2017 Quality-Based Reimbursement (QBR) policy, a fundamental change was

made to the payment scale to create more predictable payment adjustments that hospitals can

monitor throughout the performance year. The changes, supported by the hospital field,

eliminated a payment scale that required penalties to fund rewards in a revenue-neutral manner

and replaced it with a non-revenue neutral scaling using pre-set adjustments based on specific

performance targets. The discussions around the fiscal 2017 outcomes brought to light

questions about statewide performance expectations.

Recommendations

MHA offers two suggestions to better align QBR policy and methodology with HSCRC

expectations:

1. The QBR payment scale is set in advance so clinicians can understand performance goals.

However, while the HSCRC approves the weights to be applied to each measure and the

maximum amount of rewards and penalties, it has not set explicit performance targets and

does not approve how hospitals’ performance will be arrayed within those reward and

penalty boundaries. For example, the “break point” – the point chosen within the

distribution of Maryland’s hospitals that defines where rewards end and penalties begin – is

a critically important decision and more strongly influences the outcome than does the

decision about where the maximum rewards and penalties are set. The HSCRC should

expand its discussion and the commission should explicitly approve additional

elements of the QBR policy, to include setting a break point that determines the

penalty and reward zones in advance.

2. Of greater importance, as noted at the October commission meeting, is a big picture

question: what are we trying to achieve? Performing at the highest levels is desirable, but,

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Dianne Feeney

January 3, 2017

Page 2

as in all incentive-based programs, the objective is to apply an incentive that yields a

specific result. What are the goals for each measure? What level of improvement in each of

the metrics do the HSCRC and the Centers for Medicare & Medicaid Services (CMS)

consider meaningful? What do the evidence and research show about how quickly any

particular measure can be improved, about the mix of providers and interventions needed to

achieve that change, or about the time needed to achieve the desired change? These

questions are critical for commission discussion and consideration, both in setting targets

for improvement and in informing the staff’s development of current and future goals and

methods. The HSCRC should expand its discussion of QBR policy to include these

broader questions and discuss performance expectations.

Fiscal Year 2018 Background

The fiscal 2018 performance period ended September 30 for some metrics and December 31

for others. Statewide performance results will not be available for at least another six months,

although hospitals are able to track their individual performance with less lag.

Recommendation

Since the performance period has ended, there is little value in setting a performance target for

fiscal 2018. Instead, we recommend basing the payment scale on the actual fiscal 2018

scores, similar to the way in which HSCRC staff recommended revising the fiscal 2017

payment scale. The payment scale could be tied to actual scores in the following manner:

The highest score would be “anchored” to the maximum reward, in this case 1 percent of

inpatient revenue. The lowest score would be anchored to the maximum penalty,

previously set at 2 percent of inpatient revenue. A third anchor would be set at the “break

point” or the score above which a hospital receives a reward and below which a hospital

is penalized. The break point would be set at the average score. Payment adjustments

would be linearly proportional between the average and highest score and likewise,

proportional between the average and lowest score.

Under this scenario, roughly half the hospitals would receive a reward and half penalized, but

the positive and negative adjustments would not need to balance to zero. This change should

occur after the performance period ended, but before hospitals’ fiscal 2018 budgets are set

because it reduces the risk of having statewide performance and payment adjustments fall out

of line with expectations.

Fiscal Year 2019 Background

Several options have been considered for the fiscal 2019 payment scale:

1. Returning to a relative scale

This option is undesirable because the payment adjustments are not known until all

hospitals’ final performance scores are calculated. The lag in publicly available data means

that the payment adjustment is uncertain until a few months after the start of the fiscal year

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Dianne Feeney

January 3, 2017

Page 3

in which the adjustment applies, making it difficult for hospitals to budget for the payment

adjustment.

2. Pre-set scale based on Maryland performance in a current or prior period

While we support this approach for fiscal 2018 only, improvements are needed for 2019

and future years. Simply setting the payment scale on the most recent year’s performance

does not account for volatility in overall scores as measures are added to the program. This

approach risks another misalignment of actual payment adjustments and performance

expectations.

3. National scale based on possible points (range from 0 - 1, with a break point set at 0.5.)

This option is also undesirable. Under CMS’ Value-Based Payment program, hospitals can

score anywhere between 0 and 1.0 total points. However, the program adjusts for relative

ranking, effectively grading on a curve. Using the 0-1 range and 0.5 as the break point

would create a significantly higher performance standard in Maryland than the nation. To

earn a score of 0.5, a hospital would need to perform at the national level or improve at the

national improvement rate for each metric. Actual national average scores over the last

several years range from 0.36-0.41.

Recommendation

MHA proposes setting the payment scale using three anchor points: a top score tied to the

maximum reward, a low score tied to the maximum penalty and the average score tied to

the break point. Between the break point and the maximum reward and between the break

point and the maximum penalty, payment adjustments would be proportionally scaled. Because

hospitals above the break point receive positive adjustments and hospitals scoring below the

break point are penalized, deciding where to set the three anchor points would make an explicit

statement about performance expectations.

To address the difficulty in predicting a “good score,” as metrics are added to or removed from

the program each year, HSCRC should create a zone in the mid-range where no payment

adjustment is made. This would create a “buffer zone” to protect against volatility in outcomes

that results from changing metrics and is therefore beyond anyone’s ability to predict. The no-

adjustment zone would be set at a quarter of the standard deviation, centered on either side of

an average score. Although a buffer zone raises concerns because of the idea that all hospitals

should have a performance incentive, a small buffer zone would not detract from overall

performance incentives.

Compared to the nation, Maryland’s performance scores are more tightly clustered around the

median, and a few points lower than the median. This suggests that moving the Maryland

payment scale closer to national performance would move the Maryland performance curve to

the right, indicating better statewide performance. The challenge in simply setting the Maryland

scale with the break point a few points higher than the most recent Maryland average, or at the

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Dianne Feeney

January 3, 2017

Page 4

most recent year’s national median score, is that the national scores frequently move up or

down by a few basis points, depending on which metrics are included.

The results of model of this alternative, using Maryland fiscal 2017 scores with a break point

set at 0.36 (two basis points higher than the Maryland median and one point lower than the

national median for 2017, are attached.

We appreciate the commission’s consideration of our comments and the opportunity to

continue working with the HSCRC.

Sincerely,

Traci La Valle

Vice President

Enclosure

cc: Nelson J. Sabatini, Chairman

Herbert S. Wong, Ph.D., Vice Chairman

Joseph Antos, Ph.D.

Victoria W. Bayless

George H. Bone, M.D.

John M. Colmers

Jack C. Keane

Donna Kinzer, Executive Director

Alyson Schuster, Ph.D., Associate Director, Performance Measurement

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FY 2019 Option

% Revenue

Impact$ Revenue Impact

Bon Secours Hospital 74,789,724$ 0.07 -2.00% -$1,495,794

Laurel Regional Hospital 60,431,106$ 0.16 -1.33% -$805,748

Maryland General Hospital 126,399,313$ 0.20 -1.04% -$1,310,808

Northwest Hospital Center 114,214,371$ 0.22 -0.89% -$1,015,239

Holy Cross Hospital 316,970,825$ 0.23 -0.81% -$2,582,725

Prince Georges Hospital Center 220,306,426$ 0.24 -0.74% -$1,631,899

Southern Maryland Hospital Center 156,564,761$ 0.25 -0.67% -$1,043,765

Washington Adventist Hospital 155,199,154$ 0.25 -0.67% -$1,034,661

Sinai Hospital 415,350,729$ 0.31 -0.22% -$923,002

Memorial Hospital at Easton 101,975,577$ 0.31 -0.22% -$226,612

Anne Arundel Medical Center 291,882,683$ 0.31 -0.22% -$648,628

Franklin Square Hospital Center 274,203,013$ 0.31 -0.22% -$609,340

Union Memorial Hospital 238,195,335$ 0.31 -0.22% -$529,323

St. Agnes Hospital 232,266,274$ 0.32 -0.15% -$344,098

Baltimore Washington Medical Center 237,934,932$ 0.33 -0.07% -$176,248

Western MD Regional Medical Center 167,618,972$ 0.34 0.00% $0

Harford Memorial Hospital 45,713,956$ 0.35 0.00% $0

Doctors Community Hospital 132,614,778$ 0.35 0.00% $0

Meritus Hospital 190,659,648$ 0.36 0.00% $0

Johns Hopkins Hospital 1,244,297,900$ 0.36 0.00% $0

Union of Cecil 69,389,876$ 0.37 0.00% $0

Johns Hopkins Bayview Medical Center 343,229,718$ 0.38 0.00% $0

Shady Grove Adventist Hospital 220,608,397$ 0.38 0.00% $0

Peninsula Regional Medical Center 242,318,199$ 0.38 0.00% $0

Upper Chesapeake Medical Center 135,939,076$ 0.38 0.00% $0

Chester River Hospital Center 21,575,174$ 0.38 0.00% $0

University of Maryland Hospital 906,034,034$ 0.39 0.05% $476,860

Atlantic General Hospital 37,750,252$ 0.39 0.05% $19,869

Garrett County Memorial Hospital 19,149,148$ 0.40 0.11% $20,157

Fort Washington Medical Center 19,674,774$ 0.41 0.16% $31,065

Mercy Medical Center 214,208,592$ 0.41 0.16% $338,224

Civista Medical Center 67,052,911$ 0.42 0.21% $141,164

Carroll Hospital Center 136,267,434$ 0.43 0.26% $358,599

Calvert Memorial Hospital 62,336,014$ 0.43 0.26% $164,042

UM ST. JOSEPH 234,223,274$ 0.43 0.26% $616,377

Dorchester General Hospital 26,999,062$ 0.44 0.32% $85,260

Montgomery General Hospital 75,687,627$ 0.45 0.37% $278,849

Harbor Hospital Center 113,244,592$ 0.45 0.37% $417,217

Frederick Memorial Hospital 190,413,775$ 0.46 0.42% $801,742

Suburban Hospital 193,176,044$ 0.47 0.47% $915,044

Greater Baltimore Medical Center 207,515,795$ 0.49 0.58% $1,201,407

Good Samaritan Hospital 160,795,606$ 0.49 0.58% $930,922

Howard County General Hospital 165,683,744$ 0.57 1.00% $1,656,837

St. Mary's Hospital 69,169,248$ 0.72 1.00% $691,692

FY17 Statewide Total $8,730,031,841 -$5,232,563

Total Penalties -14,377,891

% Inpatient Revenue -0.16%

Total rewards 9,145,329

% Inpatient revenue 0.10%

MHA Option

HOSPITAL NAME

FY 16

Permanent

Inpatient

Revenue

QBR FINAL

POINTS

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DRAFT Recommendation for the Maryland Hospital-Acquired Conditions Program

for Rate Year 2019

February 8, 2017

Health Services Cost Review Commission 4160 Patterson Avenue

Baltimore, Maryland 21215 (410) 764-2605

FAX: (410) 358-6217

This document contains the draft staff recommendations for updating the Maryland Hospital-Acquired Conditions Program for rate year 2019. Please submit comments on this draft to the Commission by

February 24, 2017, via email to [email protected] .

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Draft Recommendations for the Maryland Hospital-Acquired Conditions Program for Fiscal Year 2019

Table of Contents

List of Abbreviations ......................................................................................................................... 1

Introduction ........................................................................................................................................ 2

Background ........................................................................................................................................ 3

Federal HAC Programs ................................................................................................................ 3

Overview of the MHAC Program ................................................................................................ 4

Assessment ........................................................................................................................................ 6

Statewide PPC Trends ................................................................................................................. 6

PPC List and Tier Adjustments ................................................................................................... 8

Palliative Care Exclusion ............................................................................................................. 8

Payment Adjustment Methodology ............................................................................................. 10

Recommendations .............................................................................................................................. 11

Appendix I. Measures for the Federal HAC Program ....................................................................... 11

CMS HAC MEASURES Implemented Since FFY 2012 ............................................................ 11

CMS HAC Reduction Program Measures Implemented Since FFY 2015 .................................. 11

Appendix II. PPC Measurement Definition and Points Calculation ................................................ 13

Definitions ................................................................................................................................... 13

Performance Points ...................................................................................................................... 13

Appendix III. MHAC RY 2019 PPC List, Tiers, and BENCHMARKS ........................................... 14

Appendix IV. PPC Rates with and without PALLIATIVE CARE ................................................... 18

Appendix V. PAYMENT ADJUSTMENT – HOSPITAL-SPECIFIC SCALING MODELING ..... 20

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Draft Recommendations for the Maryland Hospital-Acquired Conditions Program for Fiscal Year 2019

1

LIST OF ABBREVIATIONS

CMS Centers for Medicare & Medicaid Services

CY Calendar year

DRG Diagnosis-related group

FFY Federal fiscal year

FY State fiscal year

HAC Hospital-acquired condition

HSCRC Health Services Cost Review Commission

ICD International Statistical Classification of Diseases and Related Health Problems

MHAC Maryland hospital-acquired condition

PPC Potentially preventable complication

RY Rate Year

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Draft Recommendations for the Maryland Hospital-Acquired Conditions Program for Fiscal Year 2019

2

INTRODUCTION

A hospital-acquired condition (HAC) occurs when a patient goes to the hospital for one

condition but develops another condition during that hospital stay. The second condition—for

example, an adverse drug reaction or an infection at the site of a surgery—is referred to as

hospital-acquired.1 HACs can lead to 1) poor patient outcomes, including longer hospital stays,

permanent harm, and death, and 2) increased costs.2 Over the past decade, the Centers for

Medicare & Medicaid Services (CMS) have implemented several programs to improve the

quality of care for Medicare participants, including a program to reduce the frequency of HACs.

Because of the state’s long-standing Medicare waiver for its all-payer hospital rate-setting

system, special considerations are given to Maryland hospitals, including exemption from the

federal Medicare hospital quality programs, one of which is the HAC program. Instead, the

Maryland Health Services Cost Review Commission (HSCRC or Commission) implements

various Maryland-specific quality-based payment programs, which provide incentives for

hospitals to improve their quality performance over time. The HSCRC first implemented the

Maryland Hospital-Acquired Conditions (MHAC) program in state fiscal year (FY) 2011.

Maryland entered into a new All-Payer Model Agreement with CMS on January 1, 2014. One of

the requirements under this Agreement is for Maryland to reduce the incidence of HACs by 30

percent by 2018. In order to meet this target, the Commission approved several methodological

changes to the program for Rate Year (RY) 2016, which are discussed in further detail in the

background section of this report. The Commission approved additional revisions to the

methodology for RYs 2017 and 2018. The purpose of this report is to provide background

information on the MHAC program and to make recommendations for the RY 2019 MHAC

methodology and targets. The performance period for the RY 2019 MHAC adjustments is

Calendar Year 2017.

In October 2015, health providers transitioned to the 10th version of the International Statistical

Classification of Diseases (ICD-10). Since staff is still evaluating the effect of the ICD-10

transition, staff believes it is not possible to set a reasonable target for a statewide improvement

rate at this time. Considering these challenges, staff is proposing that the MHAC program adopt

a single scale, rather than a contingent scale based on the statewide improvement rate. Staff

developed multiple options under a single scale methodology and is discussing these options

with the Performance Measurement Work Group. Staff also adjusted the base period for the

program to use 12 months of hospital data under ICD-10 (October 2015 to September 2016).

1 Cassidy, A. (2015, August 6). Health Policy Brief: Medicare’s Hospital-Acquired Condition Reduction Program. Health Affairs. Retrieved from http://www.healthaffairs.org/healthpolicybriefs/brief.php?brief_id=142. 2 Ibid.

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BACKGROUND

Federal HAC Programs

Medicare’s system for the payment of inpatient hospital services is called the inpatient

prospective payment system. Under this system, patients are assigned to a payment category

called a diagnosis-related group (DRG), which is a method of categorizing costs so that

Medicare can determine how much to pay for the hospital stay. DRGs are based on a patient’s

primary diagnosis and the presence of other conditions; patients with higher co-morbidities or

complications are categorized into higher-paying DRGs.3 Historically, Medicare payments under

this system were based on the volume of services. However, beginning in federal fiscal year

(FFY) 2009, CMS stopped assigning patients to higher-paying DRGs if certain conditions were

not present on the patient’s admission, or, in other words, if the condition was acquired in the

hospital and could have reasonably been prevented through the application of evidence-based

guidelines. CMS identified 11 conditions that are presumed to be acquired in the hospital if the

diagnosis is not present on the patient’s admission. CMS will not assign these patients to more

expensive DRGs, and thus does not pay, for these HACs.4 This policy is referred to as the HAC

(present on admission indicator) program.5 Since non-payment on a case-by-case basis affects

only a small fraction of claims, the impact of this program was estimated to be very limited. The

program resulted in $21 million in savings in FFY 2010.6 Maryland hospitals were exempt from

the payment adjustments under this program.

CMS expanded the use of HACs in payment adjustments in FFY 2015 with a new program

entitled the “Hospital-Acquired Condition Reduction Program” under authority of the Affordable

Care Act. In this program, CMS ranks hospitals according to performance on a list of HAC

quality measures and reduces Medicare payments to the hospitals in the lowest performing

quartile. Since the HAC program began, the maximum penalty has been set at 1 percent of total

DRG payments. The CMS HAC measures for FFY 2017 are listed in Appendix I of this report

and include measures of patient safety developed by the Agency for Healthcare Research and

Quality and measures of healthcare-associated infections developed by the Centers for Disease

Control and Prevention.7 These will be updated to reflect FFY 2018 once 2018 measures and

specifications are available. Prior to the new All-Payer Model Agreement, CMS required the

HSCRC to submit an annual exemption request demonstrating that the outcomes and cost

savings of the Maryland-specific program met or exceeded those of the CMS federal program.

3 Ibid. 4 Ibid. 5 For more information on the federal HAC Present on Admission program, see

https://www.cms.gov/Medicare/Medicare-Fee-for-Service-Payment/HospitalAcqCond/index.html 6 CMS. (2012, December). Report to Congress: Assessing the Feasibility of Extending the Hospital Acquired

Conditions (HAC) IPPS Payment Policy to Non-IPPS Settings. Retrieved from

https://innovation.cms.gov/Files/x/HospAcquiredConditionsRTC.pdf 7 For more information on the federal HAC Reduction program, see https://www.cms.gov/Medicare/Medicare-Fee-

for-Service-Payment/AcuteInpatientPPS/HAC-Reduction-Program.html.

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Under Maryland’s new All-Payer Model agreement, this requirement was replaced by a

requirement that Maryland reduce its HACs by at least 30% throughout the duration of the All-

Payer Model, as well as a requirement to match the aggregate amount of revenue at risk in

quality-based payment adjustments with the amount at risk in the Medicare programs.

Overview of the MHAC Program

Maryland is exempt from the federal HAC programs, and, instead, the HSCRC has implemented

the MHAC program since FY 2011. The MHAC program is based on a classification system

developed by 3M, using what are called potentially preventable complications (PPCs). PPCs are

defined as harmful events that develop after the patient is admitted to the hospital and may result

from processes of care and treatment rather than from the natural progression of the underlying

illness. Therefore, these events are considered potentially preventable. 3M developed 65 PPC

measures that are identified through secondary diagnosis codes that are not present on the

patient’s admission. Examples of PPCs include accidental puncture/laceration during an invasive

procedure or infections related to central venous catheters.

The initial methodology for the MHAC program was in place until FY 2016. This methodology

estimated the percentage of inpatient revenue associated with an excess number of PPCs. The

excess number of PPCs was estimated by comparing hospitals’ observed PPC rate to a statewide

average PPC rate, given the diagnoses and severity of illness (or case-mix) of the hospital’s

patient population. The marginal cost of each PPC was estimated using a statewide regression

analysis. Next, the payment adjustment approach penalized hospitals that had higher PPC costs

than the statewide average and rewarded hospitals with lower PPC costs than the statewide

average. The payment adjustments were proportional to a hospital’s difference from the

statewide average (this methodology is also known as continuous scaling). Rewards were

adjusted to ensure that the final net impact was revenue neutral. In general, the payment

adjustment process resulted in fewer hospitals receiving penalties, and consequently limited the

amount of revenue available for rewards.

The HSCRC modified the guiding principles of those originally established for the MHAC

program to conform to the goals of its new All-Payer Model agreement; they include the

following:

The program must improve care for all patients, regardless of payer.

The breadth and impact of the program must meet or exceed the Medicare national program

in terms of measures and revenue at risk.

The program should identify predetermined performance targets and financial impact.

An annual target for the program must be established in the context of the trends of

complication reductions seen in the previous years, as well as the need to achieve the new

All-Payer Model goal of a 30 percent cumulative reduction by 2018.

The program should prioritize PPCs that have high volume, high cost, opportunity for

improvement, and are areas of national focus.

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Program design should encourage cooperation and sharing of best practices.

The scoring method should hold hospitals harmless for a lack of improvement if attainment is

highly favorable.

Hospitals should have the ability to track their progress during the performance period.

The HSCRC modified the program’s methodology to achieve these new goals and guiding

principles for performance years beginning with calendar year (CY) 2014, which were applied to

rate adjustments beginning in RY 2016.8 The key changes to the methodology are listed below

(see Appendix II for a more detailed description of the revised methodology).

Determine hospital scores based on case-mix-adjusted PPC rates rather than excess PPC

costs. This change simplified and aligned the measurement with the quality improvement

methods, where hospitals focus shifted to the PPC rates rather than the number of excess

PPCs and costs.

Prioritize PPCs that are high cost, high volume, have opportunity to improve, and are of

national concern by grouping and weighting the PPCs into tiers according to their level of

priority. This tiered approach replaced the previous PPC-specific weighting approach that

used marginal costs.

Use the better of attainment or improvement scores. This change strengthened incentives for

low-performing hospitals to improve. Previously, payment adjustments were calculated

separately for hospital attainment and improvement rates that were based on a few PPCs.

To determine payment rewards/penalties, use a preset point scale that can be set

prospectively. This change replaced the original payment adjustment determinations, which

were calculated based on the relative ranking of hospitals. This change attempted to improve

the financial predictability of the MHAC program. In addition, the revised methodology

removes the revenue neutrality requirement in scaling payments (i.e., the statewide total

amount of rewards can exceed the total amount of penalties) to reward hospitals with better

performance adequately.

Link individual hospital performance with statewide performance by creating a “contingent”

payment adjustment scale, where penalties are increased if the state does not reach pre-

determined PPC reduction targets. Staff and the hospital industry believe that “contingent”

scaling creates a balanced approach by maintaining hospital-level incentives with hospital-

specific payment adjustments that are also tied to a statewide improvement goal. In addition

to contingent scaling, “hold-harmless zones” were created to focus payment adjustments on

better and worse performing hospitals.

8 The performance period for PPCs is measured on a calendar year basis, and the results of these measures are then

used in the hospitals’ rate calculations, which are set on a fiscal year basis.

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The HSCRC used the same methodology for RY 2018, but made adjustments to the tiering

system and PPCs. Staff is suggesting additional changes for the RY 2019 policy to accommodate

the ICD-10 transition and other stakeholder input, as discussed below.

ASSESSMENT

In order to develop the MHAC methodology for RY 2019, the HSCRC solicited input from

many stakeholder groups including consumers, hospitals, payers, researchers, and other industry

experts. The Performance Measurement Workgroup discussed pertinent issues and potential

changes to Commission policy for RY 2019. 9 Specifically, the Workgroup reviewed analyses

and discussed issues related to 1) statewide PPC trends, 2) the list of PPCs and relevant tiers, 3)

the current palliative care exclusion, and 4) the payment adjustment methodology. This section

of the report provides an overview of the issues discussed by the Workgroup.

Statewide PPC Trends

The State continued to make significant progress in reducing complications, as measured both in

terms of the actual number of PPCs and case-mix adjusted PPC rates in FY 2016. Figure 1 below

presents the PPC reduction trends in Maryland between FY 2013 and FY 2016. In this figure, the

gray columns labeled “PPC Rates” display the number of PPC complications occurring in each

year, the unadjusted PPC rate, and the case-mix adjusted rate of PPC complications, which may

be interpreted as the number of PPCs per 1,000 at-risk discharges. The yellow columns in the

figure labeled “Annual Change” show the percent change between each year, e.g., from FY 2013

to 2016. Finally, the green column displays the percent change over the entire measurement

period of FY 2013 through 2016. Because the goal of the program is to reduce PPCs, the

negative percent changes in this figure may be interpreted as a performance improvement.

Overall, the number and rate of PPCs decreased significantly, with a cumulative case-mix

adjusted improvement rate of 47.8 percent between FY 2013 and 2016. It should be noted that

HSCRC contractors are still analyzing whether the ICD-10 transition is impacting the case-mix

adjusted PPC rates.

9 For more information on the Performance Measurement Workgroup, see http://hscrc.maryland.gov/hscrc-

workgroup-performance-measurement.cfm.

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Figure 1. PPC Reduction Trends in Maryland, FY 2013-2016

PPC RATES Annual Change Cumulative

Improvement

FY13 FY14 FY15 FY16

FY13-FY14

FY14-FY15

FY15-FY16

FY13-FY16

TOTAL NUMBER OF COMPLICATIONS

27,934

21,056

17,341

14,508

-24.6% -17.6% -16.3% -48.1%

UNADJUSTED PPC RATE PER 1,000 AT-RISK

1.18

0.94

0.80

0.69

-20.5% -14.6% -13.5% -41.3%

CASE-MIX ADJUSTED COMPLICATION RATE PER 1,000 AT-RISK

1.40 1.09 0.90 0.73 -22.4% -16.8% -19.2% -47.8%

HSCRC staff also analyzed monthly PPC rates for Medicare fee-for-service and all payers for

July 2012 through September 2016 (Figure 2). The gray line in this figure shows the monthly

case-mix adjusted PPC rate for Medicare fee-for-service, while the red line shows the monthly

PPC rate for all payers, including Medicare fee-for-service patients. Both lines show a fairly

consistent downward trend between July 2012 and September 2016.

Figure 2. All-Payer Case-Mix Adjusted PPC Rates FY2013-FY2016 YTD through September

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PPC List and Tier Adjustments

Two of the major strengths of the MHAC program compared with the CMS HAC programs is

that the MHAC program includes a wide range of complications, and includes all patients who

are at risk of developing these complications. For RY 2019 the HSCRC will be using the 3M

PPC grouper version 34 (v34), which has been developed to take into account the increased

specificity of ICD-10 coding. Hospitals and other stakeholders are very supportive of moving to

v34. In order to use v34, the base period will be adjusted forward by one quarter to obtain 12

months of ICD-10 data (October 2015-September 2016). Under v34 many PPC definitions have

been updated, and 3M has discontinued some PPCs for clinical reasons. Specifically under v34,

3M removed PPC 12 (cardiac arrhythmia) and PPCs 57 and 58 (OB Lacerations). 3M also made

significant clinical changes to PPC 36 (Acute mental health changes) and PPC 66 (Catheter

related UTI), such that no Maryland hospital meets minimum inclusion criteria. Two additional

changes were made prior to v. 34 1) PPC 24 (Renal Failure without Dialysis) was suspended

from payment policy based on 3M clinical recommendations, and 2) PPC 43 was combined with

PPC 42 to make comparable to ICD-9 PPC 42.

As a reminder, in RY 2018, several changes were made to the PPC list and tiering methodology

including: 1). Moving from a three-tiered PPC weighting system to a two-tiered weighting

system, with tier 1 weighted at 100 percent and tier 2 weighted at 50 percent in the scoring

calculations. 2. Combining some PPC measures that are clinically similar for scoring purposes.

3. Moving a small subset of PPCs to a “monitoring” status, suspending their use for payment

calculation for FY 2018.

For RY 2019, staff is proposing to keep to the RY 2018 two-tier structure, and make no changes

to the combined PPCs, serious reportable events, or monitoring-only PPCs. The only change to

PPC tiers is to move PPC 21 (c. Diff) to tier 2 based on 3M clinical input. Thus for RY 2019,

there are 53 PPCs (48 with combinations) in the payment program and five monitoring-only

PPCs. Appendix III lists the PPCs included in the payment program with the tier, as well as a

comparison of the RY 2018 and RY 2019 benchmarks.

Palliative Care Exclusion

Based on input from the work group participants, palliative care cases have been historically

excluded from the MHAC program due to clinical concerns that including these cases would

incentivize unwarranted care. However, since 2012, the number of palliative cases has more than

doubled and the percent of discharges has steadily increased (Figure 3). Between 2012 and

2016, the percentage of PPCs counted in the MHAC program has dropped from greater than 95%

to around 82% (Figure 4). Although these are significant changes, palliative care exclusion

appears to have a limited impact on the statewide improvement trends. Statewide, the case-mix

adjusted PPC rate (including palliative care cases) improved by only 41%, compared to 46%

when palliative care cases were excluded.

Figure 3. Percent of Total Discharges with Palliative Care, 2012 – March 2016

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Figure 4. Percent of Total PPCs in MHAC Program, 2012 – March 2016

After careful consideration and input from clinical experts, the staff is proposing to remove the

palliative care exclusion starting with the RY 2019 MHAC program. Although there is a

concern that such a policy change may incentivize unwarranted treatments for palliative care

patients, this concern must be balanced with the need to include palliative cases resulting from a

hospital-acquired complication. Furthermore, analysis of the change in the palliative codes

showed a wide variation among hospitals, which warrants further examination of coding and

documentation practices. Appendix IV shows case-mix adjusted rates and total at-risk with and

without palliative care by hospital. HSCRC regular audits have not revealed any issues with the

0.0%

0.5%

1.0%

1.5%

2.0%

2.5%

3.0%

3.5%

4.0%

0%

10%

20%

30%

40%

50%

60%

70%

80%

90%

100%

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palliative codes, however, audit samples may be too limited to detect the inaccuracies. Staff is

currently working with the audit contractor to create a special sample for these cases.

Payment Adjustment Methodology

For RY 2019, staff is proposing several changes to the payment adjustment methodology. First,

staff is recommending to remove the two-scale structure that has been used since RY 2016,

whereby achievement of a minimum statewide reduction goal determined scale (i.e. the

contingent scaling approach). Staff proposes this change for two reasons: a) the State has

already achieved the 30% reduction goal, and b) under ICD-10 and v34, staff and work group

members agreed that it is difficult to estimate a statewide reduction target. Hospital performance

will continue to be scored as the better of the hospital’s attainment or improvement scores, as

detailed in Appendix II. Both base year and performance periods will be under ICD-10 v34.

To move to a single scale, staff proposes to set the maximum penalty for the single scale at 2%

and maximum reward at 1% of hospital inpatient revenue.

Second, as with the RY 2019 QBR policy, staff proposes to use the full range of scores to set the

payment scale, rather than basing the scale on the statewide distribution of scores. The staff built

the following models in considering the RY 2019 scaling adjustments using the final RY 2017

scores (see Figure 5 for statewide adjustments and Appendix V for hospital-specific results):

Current RY2018 Scale (assuming minimum improvement target met): 17-80% with 40%

penalty cutoff and 50% reward threshold (neutral zone)

Option 1: Full Score Range without Neutral Zone: 0-100% with 50% reward/penalty

cutoff

Option 2: Full Score Range with Neutral Zone: 0-100% with neutral zone between 45%

and 55%

Figure 5. RY 2019 MHAC Scaling Models – Statewide Results

MHAC Scaling Models* Min Penalty/Reward Cut

Point Max

Statewide Penalties

Statewide Rewards

Current RY18 Scale 17% 40%/50% 80% -$2M +22M

Full Range Scale without Neutral Zone

0% 50% 100% -$10M +$13M

Full Range Scale with Neutral Zone

0% 45%/55% 100% -$6M +$9M

*These scaling models were created to analyze fiscal impact of different scaling options utilizing final scores from

RY 2017, the most recent available final scores.

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Staff will continue to vet these options to create a single scale with the performance

measurement work group members. Staff recommends using a full score scale that ranges from 0

to 100%, where hospitals scoring below 45% are penalized, and hospitals scoring above 55% are

rewarded. Staff recommends the continuation of a revenue-neutral zone for the MHAC program

given positive statewide performance.

RECOMMENDATIONS

Based on this assessment, HSCRC staff recommends the following for RY 2019:

1. Include discharges with palliative care in program, and perform a special hospital audit

on palliative care coding.

2. Modify scaling methodology to be a single payment scale, ranging from 0% to 100%,

with a revenue neutral zone between 45% and 55%.

3. Set the maximum penalty at 2% and the maximum reward at 1%.

APPENDIX I. MEASURES FOR THE FEDERAL HAC PROGRAM

CMS HAC MEASURES Implemented Since FFY 2012

HAC 01: Foreign Object Retained After Surgery

HAC 02: Air Embolism

HAC 03: Blood Incompatibility

HAC 04: Stage III & Stage IV Pressure Ulcers

HAC 05: Falls and Trauma

HAC 06: Catheter-Associated Urinary Tract Infection

HAC 07: Vascular Catheter-Associated Infection

HAC 08: Surgical Site Infection - Mediastinitis After Coronary Artery Bypass Graft

HAC 09: Manifestations of Poor Glycemic Control

HAC 10: Deep Vein Thrombosis/Pulmonary Embolism with Total Knee Replacement or Hip

Replacement

HAC 11: Surgical Site Infection – Bariatric Surgery

HAC 12: Surgical Site Infection – Certain Orthopedic Procedure of Spine, Shoulder, and Elbow

HAC 13: Surgical Site Infection Following Cardiac Device Procedures

HAC 14: Iatrogenic Pneumothorax w/Venous Catheterization

CMS HAC Reduction Program Measures Implemented Since FFY 2015

Domain 1- the Agency for Health Care Research and Quality composite patient safety

indicator (PSI) #90 which includes the following indicators:

o Pressure ulcer rate (PSI 3);

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o Iatrogenic pneumothorax rate (PSI 6);

o Central venous catheter-related blood stream infection rate (PSI 7);

o Postoperative hip fracture rate (PSI 8);

o Postoperative pulmonary embolism (PE) or deep vein thrombosis rate (PSI 12);

o Postoperative sepsis rate (PSI 13);

o Wound dehiscence rate (PSI 14); and

o Accidental puncture and laceration rate (PSI 15).

Domain 2- two healthcare-associated infection measures developed by the Centers for

Disease Control and Prevention’s National Health Safety Network:

o Central Line-Associated Blood Stream Infection and

o Catheter-Associated Urinary Tract Infection.

For the FY 2017 CMS HAC Reduction program, CMS decreased the Domain 1 weight from 25

percent to 15 percent and increased the Domain 2 weight from 75 percent to 85 percent.

CMS also expanded the data used for central line-associated blood stream infection and catheter-

associated urinary tract infections and will include data from pediatric and adult medical ward,

surgical ward, and medical/surgical ward locations, in addition to data from adult and pediatric

intensive care unit locations.

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APPENDIX II. PPC MEASUREMENT DEFINITION AND POINTS CALCULATION

Definitions

The PPC measure would then be defined as:

Observed (O)/Expected (E) value for each measure

The threshold value is the minimum performance level at which a hospital will be assigned

points and is defined as:

Weighted mean of all O/E ratios (O/E =1)

(Mean performance is measured at the case level. In addition, higher volume hospitals have more influence on PPCs’ means.)

The benchmark value is the performance level at which a full 10 points would be assigned for a

PPC and is defined as:

Weighted mean of top quartile O/E ratio that include at least 25% of statewide discharges

For PPCs that are serious reportable events, the threshold and benchmark will be set at 0.

Performance Points

Performance points are given based on a range between a “Benchmark” and a “Threshold,”

which are determined using the base year data. The Benchmark is a reference point defining a

high level of performance, which is equal to the mean of the top quartile. Hospitals whose rates

are equal to or above the benchmark receive 10 full attainment points.

The Threshold is the minimum level of performance required to receive minimum attainment

points, which is set at the weighted mean of all the O/E ratios which equals to 1. The

improvement points are earned based on a scale between the hospital’s prior year score

(baseline) on a particular measure and the Benchmark and range from 0 to 9.

The formulas to calculate the attainment and improvement points are as follows:

Attainment Points: [9 * ((Hospital’s performance period score - threshold)/(benchmark –

threshold))] + .5, where the hospital performance period score falls in the range from the

threshold to the benchmark

Improvement Points: [10 * ((Hospital performance period score -Hospital baseline period

score)/(Benchmark - Hospital baseline period score))] -.5, where the hospital performance score

falls in the range from the hospital’s baseline period score to the benchmark

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APPENDIX III. MHAC RY 2019 PPC LIST, TIERS, AND BENCHMARKS

PPC

Number

PPC

Description

RY

19

Tier

Benchmark

RY18

(based on

FY15)

Benchmark

RY19 (based

10/15-9/16)

with

Palliative

Care

Difference

RY18 vs

RY19

1 Stroke & Intracranial

Hemorrhage 2 0.5707 0.4634 -0.1073

3

Acute Pulmonary Edema and Respiratory

Failure without Ventilation

1 0.5502 0.5437 -0.0065

4

Acute Pulmonary Edema and Respiratory Failure with Ventilation

1 0.5994 0.5754 -0.0240

5 Pneumonia & Other

Lung Infections 1 0.5440 0.4788 -0.0652

6 Aspiration Pneumonia 1 0.5021 0.6295 0.1274

7 Pulmonary Embolism 1 0.3555 0.4481 0.0926

8 Other Pulmonary

Complications 2 0.4387 0.4781 0.0394

9 Shock 1 0.5528 0.4875 -0.0653

10 Congestive Heart

Failure 2 0.2236 0.2953 0.0717

11 Acute Myocardial

Infarction 2 0.5728 0.5374 -0.0354

12

Cardiac Arrythmias & Conduction

Disturbances NA 0.3270 NA NA

13 Other Cardiac Complications 2 0.0785 0.1562 0.4358

14

Ventricular Fibrillation/Cardiac

Arrest 1 0.6793 0.5143 -0.3233

16 Venous Thrombosis 1 0.3001 0.3560 0.1031

19 Major Liver

Complications 2 0.3577 0.4032 0.1300

21 Clostridium Difficile

Colitis 2 0.5634 0.4877 -0.4264

23 GU Complications

Except UTI 2 0.2362 0.1370 -0.0393

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PPC

Number

PPC

Description

RY

19

Tier

Benchmark

RY18

(based on

FY15)

Benchmark

RY19 (based

10/15-9/16)

with

Palliative

Care

Difference

RY18 vs

RY19

27

Post-Hemorrhagic & Other Acute Anemia

with Transfusion 1 0.5659 0.1969 -0.4019

28 In-Hospital Trauma and

Fractures 2 0.0619 0.1640 -0.0619

30 Poisonings due to

Anesthesia 2 0.0000 0.0000 0.0000

31 Decubitus Ulcer 2 0.0000 0.0000 0.0000

32

Transfusion Incompatibility

Reaction 2 0.0000 0.0000 0.2067

34 Moderate Infectious 2 0.3734 0.2067 0.1462

35 Septicemia & Severe

Infections 1 0.4251 0.5196 0.0972

36 Acute Mental Health

Changes NA 0.2297 NA NA

37

Post-Operative Infection & Deep

Wound Disruption Without Procedure

1 0.4159 0.5223 -0.0065

38

Post-Operative Wound Infection & Deep

Wound Disruption with Procedure

1 0.5989 0.4264 0.0205

39 Reopening Surgical Site 2 0.0795 0.4094 0.2549

40

Post-Operative Hemorrhage &

Hematoma without Hemorrhage Control

Procedure or I&D Proc

1 0.6266 0.6194 -0.2222

41

Post-Operative Hemorrhage &

Hematoma with Hemorrhage Control

Procedure or I&D Proc

1 0.2031 0.3344 0.1967

42

Accidental Puncture/Laceration

During Invasive Procedure

1 0.4414 0.4044 -0.4414

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PPC

Number

PPC

Description

RY

19

Tier

Benchmark

RY18

(based on

FY15)

Benchmark

RY19 (based

10/15-9/16)

with

Palliative

Care

Difference

RY18 vs

RY19

44 Other Surgical

Complication - Mod 2 0.3442 0.3998 -0.3442

45 Post-procedure Foreign

Bodies 2 0.0000 0.0000 0.1584

46

Post-Operative Substance Reaction &

Non-O.R. Procedure for Foreign Body

2 0.0000 0.0000 0.1348

47 Encephalopathy 2 0.1372 0.1584 -0.0493

48 Other Complications of

Medical Care 2 0.3403 0.1348 0.0862

49 Iatrogenic

Pneumothrax 1 0.3514 0.0879 -0.0889

50

Mechanical Complication of Device,

Implant & Graft 2 0.3919 0.4265 0.0287

51 Gastrointestinal

Ostomy Complications 2 0.3631 0.2625 -0.2639

52

Inflammation & Other Complications of

Devices, Implants or Grafts Except Vascular

Infection

2 0.5058 0.4206 -0.4406

53

Infection, Inflammation & Clotting

Complications of Peripheral Vascular

Catheters & Infusions

2 0.1967 0.0992 0.1503

54

Infections due to Central Venous

Catheters 1 0.0877 0.0652 0.3984

59

Medical & Anesthesia Obstetric

Complications 2 0.5325 0.3470 -0.3404

60

Major Puerperal Infection and Other

Major Obstetric Complications

2 0.0798 0.4861 0.1829

61

Other Complications of Obstetrical Surgical &

Perineal Wounds 2 0.2060 0.1921 -0.2060

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PPC

Number

PPC

Description

RY

19

Tier

Benchmark

RY18

(based on

FY15)

Benchmark

RY19 (based

10/15-9/16)

with

Palliative

Care

Difference

RY18 vs

RY19

62 Delivery with Placental

Complications 2 0.3366 0.2627 -0.1391

65 Urinary Tract Infection

without Catheter 1 0.5645 0.0000 -0.1721

66 Catheter-Related

Urinary Tract Infection NA 0.0000 NA NA

Combo 1

General Combination PPC: PPC 25, 26, 63

2 0.2139 0.1975 -0.0164

Combo 2

Gastrointestinal Complications: PPC 17

amd 18 2 0.4640 0.3924 -0.0716

Combo 3

OB Hemorrhage: PPC 55 and 56

2 0.6396 0.5660 -0.0736

Combo 4

OB Lacerations: PPC 57 and 58

NA 0.5331 NA NA

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Draft Recommendations for the Maryland Hospital-Acquired Conditions Program for Fiscal Year 2019

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APPENDIX IV. PPC RATES WITH AND WITHOUT PALLIATIVE CARE

CY 2016 YTD September

Case Mix Adjusted PPC Rate At Risk Discharges

Hospital ID Without

PC With PC

% Difference between with

and without PC

Without PC

With PC % Difference between with

and without PC

210001 Meritus 0.71 0.79 11.44% 449,261 458,166 1.98%

210002 UMMC 0.72 0.84 16.44% 597,222 609,480 2.05%

210003 PG Hospital 0.76 0.88 16.37% 338,738 341,217 0.73%

210004 Holy Cross 0.51 0.61 19.83% 802,186 819,225 2.12%

210005 Frederick 0.71 0.85 20.71% 448,923 466,093 3.82%

210006 UM-Harford 0.69 0.84 21.69% 129,436 132,809 2.61%

210008 Mercy 0.61 0.67 10.03% 450,333 452,015 0.37%

210009 Johns Hopkins 0.79 0.97 22.99% 992,480 1,008,774 1.64%

210010 UM-Dorchester 0.68 1.05 54.99% 70,759 72,305 2.18%

210011 St. Agnes 0.59 0.69 16.66% 460,571 469,387 1.91%

210012 Sinai 0.71 0.83 16.53% 542,444 550,036 1.40%

210013 Bon Secours 1.00 1.02 1.65% 111,098 111,792 0.62%

210015 MedStar Fr Square 0.65 0.73 11.58% 596,079 605,869 1.64%

210016 Washington Adventist 0.98 1.09 11.40% 304,336 308,416 1.34%

210017 Garrett 0.54 0.63 18.07% 59,896 61,167 2.12%

210018 MedStar Montgomery 0.73 0.80 8.80% 193,168 197,434 2.21%

210019 Peninsula 0.82 0.98 19.22% 490,191 503,354 2.69%

210022 Suburban 0.66 0.78 18.56% 362,774 378,041 4.21%

210023 Anne Arundel 0.70 0.78 11.30% 823,210 849,224 3.16%

210024 MedStar Union Mem 0.58 0.74 27.32% 345,145 350,046 1.42%

210027 Western Maryland 0.88 1.05 19.95% 324,583 331,871 2.25%

210028 MedStar St. Mary's 0.44 0.53 19.82% 241,036 244,214 1.32%

210029 JH Bayview 0.50 0.53 7.39% 529,866 537,606 1.46%

210030 UM-Chestertown 0.89 1.06 19.63% 43,732 44,877 2.62%

210032 Union of Cecil 0.66 0.74 13.21% 165,087 170,274 3.14%

210033 Carroll 0.71 0.88 23.56% 284,965 292,575 2.67%

210034 MedStar Harbor 0.56 0.76 36.01% 206,612 210,663 1.96%

210035 UM-Charles Regional 0.67 0.76 13.03% 180,982 183,101 1.17%

210037 UM-Easton 0.62 0.78 25.45% 230,143 235,778 2.45%

210038 UMMC Midtown 0.10 0.11 9.62% 116,459 117,083 0.54%

210039 Calvert 0.56 0.59 5.67% 146,475 148,457 1.35%

210040 Northwest 0.52 0.79 50.46% 317,426 324,147 2.12%

210043 UM-BWMC 0.67 0.85 26.94% 486,260 500,814 2.99%

210044 GBMC 0.93 0.98 5.12% 512,405 517,967 1.09%

210045 McCready 0.24 0.24 0.00% 8,251 8,251 0.00%

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210048 Howard County 0.72 0.81 13.76% 509,712 520,528 2.12%

210049 UM-Upper Chesapeake 0.70 0.82 16.87% 336,573 349,182 3.75%

210051 Doctors 0.58 0.76 30.64% 276,776 281,780 1.81%

210055 Laurel Regional 0.58 0.70 20.34% 106,623 108,058 1.35%

210056 MedStar Good Sam 0.58 0.63 8.70% 278,913 282,609 1.33%

210057 Shady Grove 0.80 0.90 12.17% 528,778 534,827 1.14%

210058 UMROI 0.94 0.94 0.00% 64,211 64,211 0.00%

210060 Ft. Washington 0.12 0.14 17.80% 63,439 63,930 0.77%

210061 Atlantic General 0.41 0.48 17.76% 94,316 100,961 7.05%

210062 MedStar Southern MD 0.71 0.83 16.08% 314,039 318,399 1.39%

210063 UM-St. Joe 0.65 0.71 8.78% 488,064 494,568 1.33%

210064 Levindale 2.69 2.78 3.48% 40,202 40,900 1.74%

210065 HC-Germantown 0.58 0.64 10.16% 137,209 140,325 2.27%

210000 Statewide 0.69 0.80 16.52% 15,601,387

15,912,806 2.00%

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Draft Recommendations for the Maryland Hospital-Acquired Conditions Program for Fiscal Year 2019

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APPENDIX V. PAYMENT ADJUSTMENT – HOSPITAL-SPECIFIC SCALING MODELING

MHAC Hospital Modeling (using RY2017 Final Scores)

RY 2018 Scale

Option 1: Full Scale without Neutral Zone

Option 2: Full Scale with Neutral Zone

Hospital ID

Hospital Name

FY 16 Permanent Inpatient Revenue

RY 17 Final

MHAC score

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

MAXIMUM PENALTY

-1.00% $ -2.00% $ -2.00% $

210003 PRINCE GEORGE $220,306,426 0.29 -0.50% -$1,101,532 -0.84% -$1,850,574 -0.71% -$1,566,623

210016 WASHINGTON ADVENTIST $155,199,154 0.32 -0.38% -$581,997 -0.72% -$1,117,434 -0.58% -$896,706

210062 SOUTHERN MARYLAND $156,564,761 0.36 -0.21% -$326,177 -0.56% -$876,763 -0.40% -$626,259

210013 BON SECOURS $74,789,724 0.40 -0.04% -$31,162 -0.40% -$299,159 -0.22% -$166,199

210009 JOHNS HOPKINS $1,244,297,900 0.41 0.00% $0 -0.36% -$4,479,472 -0.18% -$2,212,085

210044 G.B.M.C. $207,515,795 0.43 0.00% $0 -0.28% -$581,044 -0.09% -$184,458

210051 DOCTORS COMMUNITY $132,614,778 0.44 0.00% $0 -0.24% -$145,035 -0.04% -$58,940

210055 LAUREL REGIONAL $60,431,106 0.44 0.00% $0 -0.24% -$318,275 -0.04% -$26,858

210027

WESTERN MARYLAND HEALTH SYSTEM $167,618,972 0.47 0.00% $0 -0.12% -$264,730 0.00% $0

210057 SHADY GROVE $220,608,397 0.47 0.00% $0 -0.12% -$201,143 0.00% $0

210023 ANNE ARUNDEL $291,882,683 0.49 0.00% $0 -0.04% -$64,318 0.00% $0

210056 GOOD SAMARITAN $160,795,606 0.49 0.00% $0 -0.04% -$116,753 0.00% $0

210033 CARROLL COUNTY $136,267,434 0.50 0.00% $0 0.00% $0 0.00% $0

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MHAC Hospital Modeling (using RY2017 Final Scores)

RY 2018 Scale

Option 1: Full Scale without Neutral Zone

Option 2: Full Scale with Neutral Zone

Hospital ID

Hospital Name

FY 16 Permanent Inpatient Revenue

RY 17 Final

MHAC score

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

MAXIMUM PENALTY

-1.00% $ -2.00% $ -2.00% $

210037 EASTON $101,975,577 0.50 0.00% $0 0.00% $0 0.00% $0

210001 MERITUS $190,659,648 0.51 0.03% $63,553 0.02% $22,843 0.00% $0

210024 UNION MEMORIAL $238,195,335 0.51 0.03% $79,398 0.02% $38,132 0.00% $0

210040 NORTHWEST $114,214,371 0.51 0.03% $38,071 0.02% $47,639 0.00% $0

210005 FREDERICK MEMORIAL $190,413,775 0.53 0.10% $190,414 0.06% $22,650 0.00% $0

210048 HOWARD COUNTY $165,683,744 0.53 0.10% $165,684 0.06% $114,248 0.00% $0

210061 ATLANTIC GENERAL $37,750,252 0.53 0.10% $37,750 0.06% $99,410 0.00% $0

210035 CHARLES REGIONAL $67,052,911 0.54 0.13% $89,404 0.08% $53,642 0.00% $0

210022 SUBURBAN $193,176,044 0.55 0.17% $321,960 0.10% $193,176 0.00% $0

210038 UMMC MIDTOWN $126,399,313 0.57 0.23% $294,932 0.14% $176,959 0.04% $56,177

210012 SINAI $415,350,729 0.58 0.27% $1,107,602 0.16% $664,561 0.07% $276,900

210018 MONTGOMERY GENERAL $75,687,627 0.59 0.30% $227,063 0.18% $115,442 0.09% $67,278

210058 REHAB & ORTHO $64,134,443 0.59 0.30% $192,403 0.18% $136,238 0.09% $57,008

210008 MERCY $214,208,592 0.60 0.33% $714,029 0.20% $475,870 0.11% $238,010

210043

BALTIMORE WASHINGTON MEDICAL CENTER $237,934,932 0.60 0.33% $793,116 0.20% $428,417 0.11% $264,372

210011 ST. AGNES $232,266,274 0.62 0.40% $929,065 0.24% $166,536 0.16% $361,303

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MHAC Hospital Modeling (using RY2017 Final Scores)

RY 2018 Scale

Option 1: Full Scale without Neutral Zone

Option 2: Full Scale with Neutral Zone

Hospital ID

Hospital Name

FY 16 Permanent Inpatient Revenue

RY 17 Final

MHAC score

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

MAXIMUM PENALTY

-1.00% $ -2.00% $ -2.00% $

210032

UNION HOSPITAL OF CECIL COUNTY $69,389,876 0.62 0.40% $277,560 0.24% $557,439 0.16% $107,940

210015 FRANKLIN SQUARE $274,203,013 0.63 0.43% $1,188,213 0.26% $712,928 0.18% $487,472

210063 UM ST. JOSEPH $234,223,274 0.65 0.50% $1,171,116 0.30% $702,670 0.22% $520,496

210004 HOLY CROSS $316,970,825 0.66 0.53% $1,690,511 0.32% $435,005 0.24% $774,818

210030 CHESTERTOWN $21,575,174 0.66 0.53% $115,068 0.32% $362,383 0.24% $52,739

210034 HARBOR $113,244,592 0.66 0.53% $603,971 0.32% $69,041 0.24% $276,820

210049

UPPER CHESAPEAKE HEALTH $135,939,076 0.66 0.53% $725,008 0.32% $1,014,307 0.24% $332,296

210002 UNIVERSITY OF MARYLAND $906,034,034 0.67 0.57% $5,134,193 0.34% $3,080,516 0.27% $2,416,091

210029

HOPKINS BAYVIEW MED CTR $343,229,718 0.68 0.60% $2,059,378 0.36% $1,235,627 0.29% $991,553

210019 PENINSULA REGIONAL $242,318,199 0.71 0.70% $1,696,227 0.42% $1,017,736 0.36% $861,576

210010 DORCHESTER $26,999,062 0.74 0.80% $215,992 0.48% $332,012 0.42% $113,996

210028 ST. MARY $69,169,248 0.74 0.80% $553,354 0.48% $129,595 0.42% $292,048

210006 HARFORD $45,713,956 0.77 0.90% $411,426 0.54% $246,855 0.49% $223,490

210039 CALVERT $62,336,014 0.78 0.93% $581,803 0.56% $349,082 0.51% $318,606

210017 GARRETT COUNTY $19,149,148 0.81 1.00% $191,491 0.62% $118,725 0.58% $110,640

210060 FT. WASHINGTON $19,674,774 0.90 1.00% $196,748 0.80% $157,398 0.78% $153,026

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23

MHAC Hospital Modeling (using RY2017 Final Scores)

RY 2018 Scale

Option 1: Full Scale without Neutral Zone

Option 2: Full Scale with Neutral Zone

Hospital ID

Hospital Name

FY 16 Permanent Inpatient Revenue

RY 17 Final

MHAC score

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

% Adjustment

$ Adjustment

MAXIMUM PENALTY

-1.00% $ -2.00% $ -2.00% $

210045 MCCREADY $2,815,158 1.00 1.00% $28,152 1.00% $28,152 1.00% $28,152

State Total $8,796,981,441 $20,043,788 State Total $2,990,533 $3,644,677

Penalty ($2,040,868) Penalty ($10,314,70

0) ($5,738,130)

% Inpatient 0.0% % Inpatient -0.1% -0.1%

Reward $22,084,656 Reward $13,305,234 $9,382,806

% Inpatient 0.3% % Inpatient 0.2% 0.1%

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Legislative Report – February 8, 2017

Maryland Patient Referral Law – Compensation Arrangements Under Federally Approved Programs and Models (HB 403/SB 369)

HB 403/SB 369 creates another exemption to the Maryland Patient Referral Law for a health care practitioner who has a compensation arrangement with a health care entity, if that compensation arrangement is funded or paid under a program approved by the Federal Centers for Medicare and Medicaid Services. Eligible programs include Medicare ACO, Advanced Payment ACO, Pioneer ACO, Next Generation ACO, an alternative payment model approved by CMS, or another model approved by CMS that may be applied to health care services provided to both Medicare and non-Medicare patients.

Review and approval by the Maryland Insurance Administration (MIA) is required for models that include both Medicare and non-Medicare patients and involve any cash compensation. The bill creates a process by which MIA reviews the participation agreements to determine whether the agreements constitute insurance and comply with State law.

This bill is needed to allow hospitals to implement the Care Redesign Amendment programs.

Status: First Reading; Assigned to House Health and Government Operations Committee and Senate Finance Committee

Recommended Position: Support with Written and Oral Testimony

Hospitals – Substance Use Treatment Demonstration Program – Requirements (HB 189)

HB 189 creates a substance abuse treatment demonstration program for up to 5 hospitals to identify best practices to identify and screen patients who may be in need of substance abuse treatment and provide inpatient and outpatient substance abuse services. Inpatient and outpatient services provided through the demonstration program shall include 24/7 counseling either on-site or on-call, screening, intervention, and treatment in the hospital’s facility, and referral to the next appropriate level of care. The legislation directs the HSCRC to select the participants and develop a methodology to evaluate the effectiveness of the program. While Commission staff can select the participants, a contractor would be needed to evaluate the effectiveness of the program as that is not within the staff’s purview.

HB 189 is similar to a bill submitted last year, for which the Commission ultimately submitted a letter of support with a caveat that funding be provided to procure a contract to evaluate the effectiveness of the program.

Status: First Reading in the House; Assigned to House Health and Government Operations Committee

Recommended Position: No Position/Monitor

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Hospitals - Establishment of Substance Use Treatment Program - Requirements

HB 515 requires all hospitals to have a substance use treatment program to identify patients that need services and to admit the patients to the appropriate level of care. It also requires the Commission to provide an update in rates to cover capital and operating costs of the program.

Status: First Reading; Assigned to House Health and Government Operations

Recommended Position: Monitor

Hospitals – Changes in Status – Hospital Employee Retraining and Economic Impact Statements (SB 379)

SB 379 requires a hospital that voluntarily converts to a freestanding medical facility or is acquired by another hospital or health system to pay a fee directly to the State Department of Labor, Licensing, and Regulation if workers are displaced not to exceed 0.01 percent of total revenue approved by the Commission for the preceding fiscal year. The funds will be deposited into the Hospital Employees Training Fund. The bill also requires a hospital that closes or converts to a freestanding medical facility to produce an economic impact study related to the dislocation of the hospital’s employees including the number of potential layoffs and the categories of employment affected by the potential layoffs.

Status: Hearing 2/9 in Senate Finance

Recommended Position: Monitor

Civil Actions – Noneconomic Damages – Catastrophic Injury (SB 225)

SB 225 increases the maximum amount of noneconomic damages that may be recovered in health care malpractice and other civil actions for a catastrophic injury.

SB 225 is similar to a bill introduced last session, for which the Commission sent a letter of information stating the Commission’s concern that increasing the cap for noneconomic damages could increase the cost of claims and have a negative impact on access to critical services.

Status: Unfavorable Report by Judicial Proceedings Committee; Withdrawn

Budget Bill (Fiscal Year 2018) (HB 150/SB 170)

Fiscal 2017 Deficiency Appropriation

The annual budget bill usually includes deficiency appropriations and adjustments for the current fiscal year (Fiscal 2017), while also proposing an operating budget for the coming fiscal year (Fiscal 2018). The Fiscal 2017 deficiency appropriation includes a $10 million transfer from the Uncompensated Care Fund to Medicaid, which we oppose.

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Fiscal 2018 Operating Budget

The proposed budget for Fiscal 2018 for the Commission totals $140 million, slightly more than the request submitted by the Commission in the fall. One of the reasons for the increased proposed appropriation is a higher indirect cost rate for overhead expenses provided by the Department. This item increases special fund appropriation by $469,000 to be remitted to DHMH from HSCRC.

Budget Hearings

Budget hearings for the Regulatory Commissions are scheduled for February 10th at 1 pm in the Senate and February 13th at 3 pm in the House.

Status: First Reading; Assigned to House Appropriations Committee and Senate Budget and Taxation Committee

Recommended Position: Monitor

Budget Reconciliation and Financing Act of 2017 (HB 152/SB 172)

In order to balance the Fiscal 2017 and 2018 budget, a Budget Reconciliation and Financing Act (BRFA) is proposed that alters distribution of certain revenue and makes changes to appropriations that are ordered in statute. One item affecting the hospital industry is the Medicaid Deficit Assessment, which was included in law in 2011 and amended in 2013, 2014, and 2015 and totaled $389,825,000 in fiscal year 2016. Beginning in fiscal year 2017, the deficit assessment was scheduled to be reduced by $25 million per year. While that reduction is reflected for fiscal year 2017, HB 152 amends that law to delay the annual reduction to fiscal year 2019. For fiscal year 2018, the previously scheduled $25 million reduction is not realized and the deficit assessment remains at $364,825,000.

Status: First Reading; Assigned to House Appropriations Committee and Senate Budget and Taxation Committee

Recommended Position: Monitor

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DRAFT Recommendation for CRISP as Administrator of the Care Redesign Programs 

February 8, 2017 

Health Services Cost Review Commission 4160 Patterson Avenue 

Baltimore, Maryland 21215 (410) 764‐2605 

FAX: (410) 358‐6217 

 

This document contains the draft staff recommendations for CRISP as Administrator of the Care Redesign Programs. Please submit comments on this draft to the Commission by Wednesday February 22, 2017, via hard copy mail or email to hscrc.care‐[email protected].  

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Recommendation for CRISP as Administrator of the Care Redesign Programs 

Table of Contents 

List of Abbreviations .........................................................................................................................1 

Introduction ........................................................................................................................................2 

Background ........................................................................................................................................2 

Overview of Maryland’s Care Redesign Amendment .................................................................2 

Amendment’s Care Redesign Programs ......................................................................................2 

Benefits of the Care Redesign Programs .....................................................................................3 

Oversight and Administration of the Care Redesign Programs .........................................................4 

Public-Private Partnership Strategy .............................................................................................4 

HSCRC & CRISP’s Oversight and Administrator Roles ............................................................4 

Funding for CRISP’s Administrator Role ...................................................................................5 

Recommendation ...............................................................................................................................5 

Appendix: Additional Background on CRISP ...................................................................................6 

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Recommendation for CRISP as Administrator of the Care Redesign Programs 

1

LIST OF ABBREVIATIONS 

CCIP Complex and Chronic Care Improvement Program

CMS Centers for Medicare & Medicaid Services

CRISP Chesapeake Regional Information System for Our Patients

HCIP Hospital Care Improvement Program

HSCRC Health Services Cost Review Commission

ICN Integrated Care Network

MACRA Medicare Access and CHIP Reauthorization Act

MHIP Maryland Health Insurance Program

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Recommendation for CRISP as Administrator of the Care Redesign Programs 

2

INTRODUCTION 

The Maryland Health Services Cost Review Commission (“HSCRC,” or “Commission”), in conjunction with the Maryland Department of Health and Mental Hygiene (“Department,” or “DHMH”) was recently granted an Amendment to the 2014 Maryland All-Payer Model (“Amendment”) to procure additional data and waivers necessary to the ongoing success of the All-Payer Model. Chesapeake Regional Information System for our Patients (“CRISP”) is a private not-for-profit organization focused on acting as the State’s Health Information Exchange and supporting infrastructure needs through its sophisticated reporting service and corresponding data analytic capacity. HSCRC staff is recommending that CRISP act as the administrator for the Amendment’s Care Redesign Programs, while HSCRC maintains its policy decision-making role and regulatory oversight.

BACKGROUND 

Overview of Maryland’s Care Redesign Amendment  

In response to Maryland stakeholders’ requests for greater provider alignment and transformation tools under the All-Payer Model, the State proposed, and the Centers for Medicare & Medicaid Services (CMS) approved, a Care Redesign Amendment (“Amendment”) to the Agreement in September 2016. The Amendment aims to modify the Model by:

Implementing effective care management and chronic care management; Incentivizing efforts to provide high-quality, efficient, and well-coordinated episodes of

care; and Supporting hospitals’ ability, in collaboration with their non-hospital care partners, to

monitor and control Medicare beneficiaries’ total cost of care growth.

The Amendment gives Maryland hospitals the opportunity to implement Maryland-designed Care Redesign Programs intended to improve health outcomes. By participating in a Care Redesign Program, hospitals will have the opportunity to access comprehensive Medicare data, share resources, and offer incentives to community physicians and practitioners, physicians that practice at hospitals, and other providers, collectively known as Care Partners. Hospitals and their care partners can leverage Medicare data for implementing, monitoring, and improving their Care Redesign Programs.

Amendment’s Care Redesign Programs 

Under the Care Redesign Amendment, Participating Hospitals will have the opportunity to participate in at least one of two initial Care Redesign Programs, the Hospital Care Improvement Program (“HCIP”) and Complex and Chronic Care Improvement Program (“CCIP”).

HCIP: Implemented by Participant Hospitals and hospital-based providers, the HCIP aims to improve inpatient medical and surgical care delivery; provide effective transitions

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of care; ensure an effective delivery of care during acute care events, beyond hospital walls; encourage the effective management of inpatient resources; and reduce potentially avoidable utilization with a byproduct of reduced cost per acute care event.

CCIP: Implemented by Participant Hospitals and community providers and practitioners, the CCIP aims to strengthen primary care supports for complex and chronic patients in order to reduce avoidable hospital utilization; enhance care management through tools such as effective risk stratification, health risk assessments, and patient-driven care profiles and plans; and facilitate overall practice transformation towards person-centered care that produces improved outcomes and meets or exceeds quality standards.

Benefits of the Care Redesign Programs  

Both HCIP and CCIP are voluntary programs. Hospitals who choose to participate in HCIP and/or CCIP will have access to patient identified Medicare claims data; achieve closer alignment with their Care Partners through a focus on common goals; enhance their person-centered focus of care; increase quality scores and improve outcomes; and generate greater savings and reductions of potentially avoidable utilization under global budgets. Care Partners who choose to participate in HCIP and/or CCIP will have access to transformation tools and incentives made available by the Participant Hospital(s), as well as the potential for other support for requirements under the Medicare Access and CHIP Reauthorization Act (“MACRA”).

Because the Care Redesign Amendment is a “living document,” the Care Redesign Programs also will continue to evolve to meet the changing needs of Maryland providers. Stakeholders and the State may choose to modify or eliminate Care Redesign Programs over time as they are replaced with more comprehensive delivery and payment approaches. The Amendment gives Maryland the flexibility to expand and refine Care Redesign Programs based on outcomes, learnings, and the changing levels of sophistication of Maryland’s health care system players, as well as the needs of healthcare consumers. The State will deploy a process by which providers and stakeholders make recommendations on enhancements to current programs or for the introduction of new programs to meet the unique needs of Maryland’s patients, payers, and health care providers. This flexibility also improves the State’s responsiveness to external changes brought on by MACRA and other new federal regulations and initiatives. Through this flexible framework, the Amendment will facilitate the State’s ongoing success and progression towards addressing system-wide health care outcomes and costs under the All-Payer Model.

Given the additional flexibility provided under the Amendment, CMS is requiring that Maryland have State oversight and administration responsibilities to ensure the success of the Care Redesign Programs. In particular, Program administration responsibilities under the Amendment will require intense data reporting and analytics capabilities. As such, the HSCRC is recommending that CRISP act as the administrator the Amendment’s Care Redesign Programs, while HSCRC maintains its policy decision-making role and regulatory oversight.

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OVERSIGHT AND ADMINISTRATION OF THE CARE REDESIGN PROGRAMS 

Public‐Private Partnership Strategy  

The HSCRC is focused on ensuring the availability of tools to support all types of providers in achieving transformation goals. As described in the Progression Plan to the All-Payer Model, Maryland’s strategy is to leverage private resources and public-private resources where implementation is best accomplished cooperatively to support transformation. The HSCRC employs a public-private partnership strategy for several reasons:

Responsiveness—Resources under stakeholder governance can be more responsive to needs

Lower costs—Providers and government need some of the same resources, and joint production decreases costs and increases sophistication. The HSCRC wants to avoid having providers pay for staff and consultants to recreate the data analytics and other tools that the State is developing, and visa-versa.

Transparency—Providers have immediate access to the work of the State regulatory staff, improving the transparency of actions in an increasingly data-driven environment. Transparency creates a better opportunity for input and ongoing improvements.

Agility—The private sector can be more agile in making changes (e.g., scaling size of resources based on needs).

HSCRC & CRISP’s Oversight and Administrator Roles  

Based on Maryland’s public-private partnership strategy, the HSCRC is recommending that CRISP act as the administrator of the Amendment’s Care Redesign Programs while HSCRC maintains its policy decision-making role and regulatory oversight. Figure 1 provides a high level description of the functions of the different entities involved for the first two Care Redesign Programs, HCIP and CCIP. Future Care Redesign Programs would also require design and development work.

Figure 1: Care Redesign Programs - Entity Functions

CMS Federal

Regulator

HSCRC State Regulator

CRISP Administrator

PROVIDER COMMUNITY

Approve terms of Care Redesign Programs.

Set and interpret policy. Develop methodology for

total cost of care. Approve incentive payment.

methodology.

Communication and consulting hub.

CCIP administration and coordination.

HCIP administration and coordination.

Establish and implement Care Redesign Programs.

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Review and resolve disputes. Coordinate with statewide

regulatory activities. Funding source and approval.

Analytic support, including data collection and reporting.

Budget development.

As a private not-for-profit organization focused on acting as the State’s Health Information Exchange and supporting infrastructure needs that can best be accomplished cooperatively, CRISP will offer the provider-led structure to lead the implementation of the programs. The Care Redesign Programs need to be led by the provider community to be successful. CRISP’s inclusive governance structure makes it well-positioned to ensure that implementation is responsive to provider needs and consumers. Moreover, while CRISP would be the administrator of the program, the HSCRC will work with CRISP to ensure that the administration will meet the needs of the filings that must be made with the State and CMS.

Funding for CRISP’s Administrator Role 

Currently through FY 2018, the care redesign administration is funded through the Integrated Care Network (ICN) budget that the legislature designated from former Maryland Health Insurance Program (MHIP) funds. The HSCRC staff’s position is that future assessments, like MHIP, provide the most stable and equitable source for long-term funding of Care Redesign Programs. However, the HSCRC staff is interested in CRISP’s ICN governance structure and the provider industry’s recommendations on the best strategy for long-term financing. It should be noted that the Commission will need to review and approve recommendations for long-term funding.

In terms of the size of the funding request, the HSCRC staff will ask CRISP staff for advice, particularly based on their experience with the budgets of existing care redesign efforts. However, the HSCRC staff would generally be supportive of a budget request that meets the needs of the stakeholders engaging in this work. As mentioned, the Care Redesign Programs must be provider-led initiatives to be successful, and the HSCRC staff will follow the lead of industry in terms of the administrative support required for implementation.

RECOMMENDATION 

Based on HSCRC’s public-private partnership strategy and analysis of how CRISP’s governance structures and capabilities position them well for implementation capability, the HSCRC staff is recommending that CRISP act as the administrator the Amendment’s Care Redesign Programs, while HSCRC maintains its policy decision-making role and regulatory oversight.

 

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APPENDIX: ADDITIONAL BACKGROUND ON CRISP 

CRISP Vision, Mission, and Guiding Principles 

First Adopted 2007, Updated April 2014

Vision 

To advance health and wellness by deploying health information technology solutions adopted through cooperation and collaboration.

Mission 

We will enable and support the healthcare community of Maryland and our region to appropriately and securely share data in order to facilitate care, reduce costs, and improve health outcomes.

Guiding Principles 

1. Begin with a manageable scope and remain incremental. 2. Create opportunities to cooperate even while participating healthcare organizations still

compete in other ways. 3. Affirm that competition and market-mechanisms spur innovation and improvement. 4. Promote and enable consumers’ control over their own health information. 5. Use best practices and standards. 6. Serve our region’s entire healthcare community.

CRS Principles 

First Adopted 2015, Update January 2017

1. CRISP will provide reporting and analytics services when cooperation and collaboration is appropriate. CRISP will serve providers, regulators, investigators, public health officials, and patients – particularly when the engagement of multiple stakeholder groups is required.

2. CRISP will not seek to replicate services which are readily available commercially, but will work to assist those who provide commercial analytics services when that is requested by our participants.

3. CRISP will strive to make report creation efficient in effort and expense, internally and for those submitting and receiving data, so as to limit the burden for our participants.

4. CRISP will not report performance measures to regulators for individual hospitals/providers, unless the hospitals/providers have agreed for us to do so through our governance

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committees. When we do create performance measure reports, we will seek to create transparency for participants to view, understand, and validate the data.

5. CRISP will be honest and trustworthy in all reports we create. We will not assist with any reporting in which we believe a participant may be falsifying data.

6. When CRISP is creating progress measures or comparison measures, for its own work or for that of a jurisdiction as a whole, it will endeavor to keep cell-level data de-identified.

7. CRISP will support approaches allowing consumer control and consent, and assist participants as they navigate these issues.

8. CRISP will serve our health care community in an evenhanded manner. We will prioritize reporting and analytics intended to facilitate care, reduce costs, and improve health outcomes. CRISP will not advocate the adoption of particular policies, although we sometimes function as a convener for stakeholders to make decisions cooperatively.

 

Additional information on CRISP can be found at https://www.crisphealth.org/.

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Nelson J. Sabatini Chairman

Herbert S. Wong, PhD

Vice-Chairman

Joseph Antos, PhD

Victoria W. Bayless

George H. Bone, M.D.

John M. Colmers

Jack C. Keane

Donna Kinzer

Executive Director

Katie Wunderlich, Director Engagement

and Alignment

Sule Gerovich, PhD, Director Population Based

Methodologies

Chris L. Peterson, Director Clinical and Financial

Information

Gerard J. Schmith, Director Revenue and Regulation

Compliance

Health Services Cost Review Commission 4160 Patterson Avenue, Baltimore, Maryland 21215

Phone: 410-764-2605 · Fax: 410-358-6217 Toll Free: 1-888-287-3229

hscrc.maryland.gov

State of Maryland Department of Health and Mental Hygiene

TO: Commissioners FROM: HSCRC Staff DATE: February 8, 2017 RE: Hearing and Meeting Schedule

March 8, 2017 To be determined - 4160 Patterson Avenue

HSCRC/MHCC Conference Room April 12, 2017 To be determined - 4160 Patterson Avenue

HSCRC/MHCC Conference Room Please note that Commissioner’s binders will be available in the Commission’s office at 11:45 a.m. The Agenda for the Executive and Public Sessions will be available for your review on the Thursday before the Commission meeting on the Commission’s website at http://www.hscrc.maryland.gov/commission-meetings-2016.cfm Post-meeting documents will be available on the Commission’s website following the Commission meeting.